ar Draft 2020 Chinese pharmacopeia includes hundreds of new pharmaceuticals By connect.raps.org Published On :: Thu, 07 May 2020 16:33:16 -0400 From : Communities>>Regulatory Open ForumHi everyone, As currently drafted, the 2020 Chinese Pharmacopeia, the benchmark publication on the safety and efficacy of pharmaceuticals legally available in China, includes 319 new entries. The publication includes more than 5,500 traditional Chinese and Western medicines. The official compendium of the standards of purity, description, test, dosage, precaution, storage, and the strength for each drug legally marketed in China is published by the Chinese Pharmacopoeia Commission. It is designed [More] Full Article Discussion
ar RE: FDA DOC vs general use of consensus standard By connect.raps.org Published On :: Thu, 07 May 2020 17:08:00 -0400 From : Communities>>Regulatory Open ForumThis message was posted by a user wishing to remain anonymous I'd recommend a statement that you are using these standards as general use. A Declaration of Conformity allows you to submit less testing information, but FDA still may request it. In the case of the standards you mentioned, FDA will require that information (e.g. software documentation, risk management, etc). So I would not bother with the DoC as you still have to submit all that material. Here was a nice thread discussing the topic [More] Full Article Discussion
ar RE: FDA DOC vs general use of consensus standard By connect.raps.org Published On :: Fri, 08 May 2020 05:42:28 -0400 From : Communities>>Regulatory Open ForumHello Anonymous You will be generating software documents (which is data of a sort), in accordance with ANSI-AAMI IEC 62304, and there is output from ISO 14971 which goes into the submission. I just think DoCs are wasteful busy time and would do as few as possible. Regarding IEC 62366-1, maybe if you want mention it and do a DoC, but if the device usability study is not required in a submission don't put it in there unless asked. Just my opinion. Biocompatibility if used, is generating test [More] Full Article Discussion
ar RE: EUA Transition To Clearance By connect.raps.org Published On :: Fri, 08 May 2020 08:15:15 -0400 From : Communities>>Regulatory Open ForumThank you!!! Good to know that everyone is having a wonderful interactive experience. --------------------------------- Beverly Whitaker Beaufort SC United States --------------------------------- Full Article Discussion
ar RE: FDA DOC vs general use of consensus standard By connect.raps.org Published On :: Sat, 09 May 2020 03:13:41 -0400 From : Communities>>Regulatory Open ForumHello, I agree with Ginger, when you look at standards there will most likely be an output of documents from following those standards, i.e. risk management file, usability report, all the software documentation. These would be included in the different sections of the 510(k) so you can claim them as recognised standards you are following. I have mentioned in previous posts, we take a simple approach for the declaration of conformity to standards that is a small table describing what we are complying, [More] Full Article Discussion
ar More Than a Warehouse to Me By polarisconsultants.blogspot.com Published On :: Tue, 14 Jun 2016 17:29:00 +0000 Impossible to write a love song about FDA warehousing regulations, you say?Challenge accepted.(Sung to the tune of Billy Joel's "She's Always A Woman.") Full Article 21 CFR 211 Distribution FDA Pharma Warehousing
ar Coping with Scoping Your CSV/Part 11 Audit By polarisconsultants.blogspot.com Published On :: Tue, 18 Jul 2017 12:43:00 +0000 You know you need a computer systems audit, but that’s literally the extent of what you know. Has this ever been you?Yes, you use computers on a daily basis, and you may even use the system that needs to be audited. But you don’t spend your day thinking about where all the system components are located, how services and software are combined, and what Part 11 requirements apply. Terms like “cloud computing” make you feel slightly queasy. You’d rather get a root canal than discuss “distributed processing.” Your expertise is in manufacturing. Or clinical research. Or non-clinical lab operations. And somehow it’s your job to make sure an effective and properly-sized system audit is conducted. Great.Yet your Quality Assurance colleagues -- whether they’re from your internal QA department or an external compliance company -- need your input. They need to understand what software is being purchased, what services are being contracted, how and where components of the system are being implemented, and how the system will be used. The good news is that the QA auditors can help you. They know that FDA favors a risk-based approach to validation and Part 11 implementation, and they even know what that means. They love to talk about configuration management and change procedures. They love gathering evidence that demonstrates your system works correctly and is in a state of control, and they know what rocks they should look under to find and fix vulnerabilities.What follows are examples of the types of information you need to convey to QA – and that they should be asking you about – to properly size and scope an audit.How do You Plan to Use the System?Suppose you need to audit the supplier of a new Document Management System. The first thing an auditor would need to understand is how you plan to use the system. How mission critical are the documents you’re looking to store? Are they covered under regulatory scope? Maybe you plan to use the system as a collaboration environment for developing new SOPs. That would require a relatively low level of scrutiny, especially if you only plan to print out the finalized documents for wet ink signature. (As a point of comparison, if you plan to use the system to finalize SOP approval, the auditor would need to check that Part 11 requirements for electronic signatures are properly implemented.) What if the Document Management System will be housing critical GxP documents, such as Trial Master Files, Master Schedule Sheets, or Master Batch Records? In these cases, the validation would have to be far more thorough, and Part 11 electronic record features, such as audit trails and archiving functionality, would have to be implemented and verified. Here’s another “use” example. Similar to the term “Document Management System,” the term “Analytics System” does not tell the whole story. From a business perspective, study start up (SSU) metrics may be vital for sponsors and CROs to collect and analyze. But since they have no regulatory impact, the FDA would not require an SSU analytics system to be validated. (That doesn’t necessarily mean you might not want to, though.) On the other hand, a system that performs statistical analysis on study data for regulatory submission is about as critical as it gets, and would require thorough validation and Part 11 implementation. Other analytics systems, such as dashboards that pull data from critical systems, might fall somewhere between these two extremes.What is the Vendor Providing? And How? And Where?If you need to audit a complex system, the questions QA will ask you will go beyond system use. The auditors will need to understand the combination of software and services the vendor is providing, and where the software and data reside.Does the software and data reside internally at your company or does the vendor provide a hosting service?If the vendor is hosting, the auditor needs to tour the facilities and review SOPs and records to evaluate physical security, staff training, environmental controls, backup procedures, disaster recovery plans, data retention, computer infrastructure, and change control.Does the hosting vendor own its own servers or does it, in turn, outsource that function to a 3rd party hosting company, (possibly even in the cloud)?If the hosting is outsourced, ideally an auditor would be able to visit the hosting site. Failing that, the auditor would ask questions about the vendor’s qualification processes and review SOPs that govern vendor selection/management procedures. If the vendor outsources other services beyond hosting, those services might need to be considered, as well.Is the vendor providing any other services?Many EDC vendors will provide study-specific services such as screen development and data entry validation edits. Auditors would need to review SOPs for providing these services and understand how the vendor tests and manages modifications to these components as the study proceeds.Sometimes computer systems vendors provide ancillary services, such as help desk functions and user account management. That would mean additional SOPs and training records for the auditor to look through.Other ConsiderationsThere are many. For example, where are you in the product life cycle? You ask different questions about a new system than you would about one that has been operating for a few years. Is the product Commercial off-the-shelf (COTS) or highly customized? COTS systems vendors often have their own validation package which auditors would review, and then ensure proper operation in the sponsor/CRO’s specific environment. A highly customized or custom-built system would require a more extensive validation process.The Take AwayCSV/Part 11 audits will never be standardized, cookie cutter type activities; there are simply too many factors -- in too many combinations -- to consider. You want your QA efforts to be worth the money you spend and be able to answer the questions FDA says you need to be asking. If you’re unsure how to do that, that’s ok. Other people know, as long as you can help them understand how you plan to use the system, what software and services are being supplied, and how components of the system are being implemented.In case you missed it, our previous post was Notes 2 Fix Your Notes 2 File._______________________________________________ Many thinks to Lisa Olson for sharing her insights with me. Full Article audit cloud COTS CSV Part 11 QA system validation vendor qualification
ar Anticipating Tensions Between Clinical Care and Study Protocol By polarisconsultants.blogspot.com Published On :: Tue, 19 Sep 2017 11:57:00 +0000 Protocol trumps practice. This principle seems clear enough, but complying with it is not always as straight-forward as it sounds. Years of practicing medicine has reinforced the way a physician responds to medical situations. But do these responses run counter to the investigational plan? Can a site’s commitment to standard of care affect its ability to meet enrollment targets?There’s a lot to consider.What’s Your Standard of Care?When deciding whether or not to conduct a particular study, a PI needs to verify that the protocol is aligned with practice norms. For example, an early phase trial might exclude a medication that is part of a practice’s routine therapy. Is the study placebo-controlled? Does it feature a specific comparator drug? Will it include a washout period? Any of these elements could present enrollment challenges or preclude a site from accepting a study at all. Responsible sites want to make thoughtful decisions about study suitability; they want to provide realistic enrollment estimates. Sponsors want this too, and can help sites do both these things by providing them a sufficient level of detail about protocol procedures as early as possible.The Road to Deviations is Often Paved with Good IntentionsTherapeutic misconception – a well-documented phenomenon in clinical research – occurs when a study participant “fails to appreciate the distinction between the imperatives of clinical research and of ordinary treatment.”* Study participants are not alone in this. Researchers blur the distinction themselves when they conduct procedures that are consistent with clinical care but deviate from the protocol. This may be particularly true for PIs who recruit participants from their own practices. An endocrinologist might ordinarily reduce dosage for a particularly diminutive patient. A pulmonologist would often skip a scheduled chest x-ray she felt wasn’t needed to avoid exposing her patient to unnecessary radiation. An orthopedic surgeon may decide his patient needs more recovery time than usual before attempting her first walk. In a clinical care setting, these decisions are sound, made in an individual patient’s best interest. In a clinical trial, if they differ from the investigational plan and haven’t been approved by the Sponsor, they’re protocol deviations.**It May be Par for the Course, But It's Still an AESpecialists who have experience treating particular conditions are also familiar with the complications that ordinarily accompany them. A nephrologist, for instance, knows that a patient with end-stage renal disease frequently experiences bloat from a buildup of fluid between dialysis sessions. Though useful for a doctor treating patients, this knowledge can actually work against a doctor running a trial. How? A PI may fail to report a stomach ache as an AE because it’s so typical, so expected. “Bloat is common for renal patients. If I recorded every GI incident, I’d be recording AEs all day.” At its surface, this PI’s argument sounds reasonable, but what if the study drug itself is contributing to the participant’s discomfort? In order to assess the drug’s gastrointestinal effect, the PI must document the frequency and severity of all GI events.Lab values that are either above or below normal range are also prime candidates for AE underreporting. “Of course the participant’s liver enzyme is high – we’re testing a cholesterol drug.”The Importance of Study OversightAny GCP course worth its registration fee will discuss the distinction between standard of care and the study protocol. In practice, the distinction is not always as obvious as training sessions might suggest. This is where well-trained CRAs come in. As site monitors, CRAs are in a position to catch deviations that result from lapses into standard of care. Reading through progress notes, a monitor can ensure that any untoward medical event has been reported as an Adverse Event. They can verify that procedures conducted by the PI and site staff are compliant with the protocol. Then, by reviewing which types of data must be collected and emphasizing the importance of following certain protocol procedures, monitors can take the opportunity to re-educate study personnel and help them avoid these common pitfalls. _______________________________________________________________________* Lidz CW, Appelbaum PS (2002) The therapeutic misconception: problems and solutions. Med Care 40: V55-V63.**Andrew Snyder of the HealthEast Care System wrote a thoughtful piece describing the compatibilities that do exist between clinical care and clinical research. His arguments provide a useful counterpoint to the issues we’re raising here. https://firstclinical.com/journal/2017/1707_Research_vs_Care.pdfA version of this article originally appeared in InSite, the Journal of the Society for Clinical Research Sites. Full Article adverse events clinical research clinical trials protocol protocol deviations standard of care
ar Love at First "Site": Early Signs of Strong PI Oversight By polarisconsultants.blogspot.com Published On :: Sun, 12 Nov 2017 15:07:00 +0000 When I was a teenager, my grandfather would invite my new boyfriends to run short, pointless errands with him, just so he could watch them drive. He said he could tell a lot about a boy’s character simply by observing his actions behind the wheel. Did he stay under the speed limit? Did he use his signal when he was switching lanes? Did he slow down when children were playing near the road? If so, it was a good sign that the boy was generally a careful and attentive fellow. If not, it was an early indication of reckless tendencies, and I would do well to be on my guard.What does this have to do with PI oversight?As Sponsors and CROs, you’re sometimes forced to make site selection decisions based on a limited set of criteria that you deem to be – hope to be – reflective of the site as a whole. In a short space of time, you need to assess a PI’s commitment to study oversight. On what should your pre-study “test drive” focus to help you gauge the level of care and attention a prospective PI will devote to your study?We have some suggestions. Assessing Attention to DetailAny GCP-compliant site can produce a set of current CVs, job descriptions, and training records; they’re essential documents. But the most attentive sites are able to show you more than a collection of records during your pre-study visit with them. These sites keep a complete, organized set of uniform records and can describe their tight system for maintaining it. All documents for each staff member are found in dedicated tabs inside a records binder, or are equally well-organized in an electronic records system. All CVs are in a standard format so Sponsors can easily compare qualifications across individuals. Every document is current; CVs are up to date, and there’s a system in place to track which medical licenses are expiring when. Training records are comprehensive and include training on GCP regulations, site SOPs, and EMRs.This is not sexy stuff. That’s why it’s a good indicator of PI oversight. A site that is disciplined enough to keep such tight control over its personnel records is likely to carry that control into all aspects of trial execution.Assessing Commitment to Protocol ComplianceDuring site initiation visits, Sponsor/CRO staff is on site to conduct protocol training; all study sites start off the same in this respect. But protocol amendments are inevitable, and sometimes – though nobody’s happy about it – frequent. You need assurances that a site’s response to each amendment will be swift, well-coordinated, and deliberate. Ask the prospective PI, “What procedures does your site follow for managing protocol amendments?”The A answer:“When a protocol amendment arrives, we convene a special team meeting to review the changes and discuss their effects. For example, if additional safety tests are required, the team discusses who shall be delegated to perform them? Do we have adequate time scheduled into the visit for any additional procedures the amendment requires? How will I be demonstrating oversight of any new test results? Once we’ve asked and answered these kinds of questions, we document attendance at the meeting, record assignments of delegated duties, and publish meeting minutes.”The F answer:“I email the amendment out to my team. I assume they’re all adults and know how to read.” (#TrueStory)Just AskAfter reviewing essential documents and protocol amendment procedures, you should ask about other PI oversight mechanisms the site has in place. A good prospective site might tell you the PI holds biweekly meetings to review the items raised during monitoring visits. A PI may block out time at regular intervals to review adverse events and other study documents, and sign off on labs. A PI who values staff excellence may actively encourage and support Study Coordinator certification; some may even require it after an initial period of employment. In the past, we’ve worked with sites that have established internal Quality Control procedures, some maintain CAPA programs, and others conduct mock inspections.There’s a wide variety of responses that can give you confidence a prospective PI is committed to running your study in a constant state of control. Whatever oversight measures are discussed, remember to ask how they will be documented, so during the study you’ll be able to verify that each activity is being consistently carried out. EpilogueAfter running an errand with a boy I met at college, my grandfather happily reported back to me, “He didn’t roll through a single stop sign coming down Green Hill Road. He’s all right, that one.”My grandfather, a retired police detective for the city of Pittsburgh, knew how to read a person. That boy and I celebrated our 30th anniversary last month.I was a child bride.If you found this article helpful, you might also like:Anticipating Tensions Between Clinical Care and Study ProtocolAvoiding Protocol Deviations Full Article clinical research clinical trials PI Oversight pre-study site visit protocol amendments
ar Philly-based gene therapy firm teams up with UMass Medical researcher By www.bizjournals.com Published On :: Thu, 20 Oct 2016 09:13:26 +0000 Guangping Gao, the head of the Horae Gene Therapy Center at the University of Massachusetts Medical School, will partner with Philadelphia-based Spark Therapeutics to figure out better ways to get disease-curing genes into cells. The collaboration, announced this morning, gives Spark (Nasdaq: ONCE) the option for an exclusive, world-wide license for any intellectual property to come out of it. No financial terms were disclosed. Earlier this year, Gao was featured in Newsweek magazine for seemingly… Full Article
ar Nursing home pharmacy to pay $476K settlement to Mass. after kickback charges By www.bizjournals.com Published On :: Thu, 20 Oct 2016 10:27:51 +0000 The nation’s largest pharmacy serving elder care facilities will pay Massachusetts nearly half a million dollars to settle allegations that it got kickbacks more than eight years ago from Abbott Laboratories to promote the anti-seizure drug, Depakote. The settlement was signed by Omnicare, a pharmacy services company that was acquired by CVS Health Corporation (NYSE: CVS) in August 2015. The $476,216 payment to Massachusetts is part of a $28 million multi-state settlement that included 47 states… Full Article
ar Vertex boosts market cap on plan for cystic fibrosis 'triple combo' By www.bizjournals.com Published On :: Wed, 26 Oct 2016 11:18:33 +0000 Vertex Pharmaceuticals announced a plan late Tuesday to begin trials before the end of the year of the third in its so-called “triple combo” of pills designed to treat as much as 90 percent of the 75,000 patients worldwide who suffer from cystic fibrosis. That news, announced in conjunction with the Boston-based drugmaker’s third-quarter financial results last night, spurred a 6 percent stock increase after hours, implying the company’s market cap could increase by about half a billion dollars… Full Article
ar Ra makes nine Mass. biotech IPOs, over $640M raised, this year By www.bizjournals.com Published On :: Thu, 27 Oct 2016 09:50:20 +0000 Wednesday’s initial public offering for Cambridge-based Ra Pharmaceuticals marked the ninth biotech startup to go public this year, tying the number in 2013 but still less than either of the two years since. Ra (Nasdaq: RARX), which has 40 employees in one of the former Pfizer buildings in Alewife, ended up with the third-largest IPO size for any Massachusetts-based biotech in 2016, with a total of $92 million raised from the sale of 7 million shares for $13 each. That’s more than the $86 million… Full Article
ar Medtech startups to pitch investors at annual MassMEDIC Showcase By www.bizjournals.com Published On :: Thu, 27 Oct 2016 15:24:39 +0000 On Friday, 21 emerging medical device companies will present their technologies and business plans to a group of local investors at the annual MedTech Showcase, hosted by the Massachusetts Medical Device Industry Council. More than 300 venture leaders and business leaders are expected to attend the event tomorrow, Oct. 28 from 8 a.m. to 2 p.m. at the Westin Waltham, 70 Third Ave. As a main event, John McDonough, president and CEO of Lexington-based T2 Biosystems (Nasdaq: TTOO), will be interviewed… Full Article
ar Venture firm Third Rock raises $616M fund, names female partner By www.bizjournals.com Published On :: Mon, 31 Oct 2016 10:00:10 +0000 Third Rock Ventures, the Boston-based venture capital firm behind some of the Bay State’s most prominent biotechs, has reclaimed its title as the biggest life science-focused VC firm in the state with a new $616 million round, and has also named its first female partner in eight years. With the announcement of its Fund IV today — its largest ever — the firm now has raised $1.9 billion in the nine years since it was formed. That eclipses its rival across the Charles River, Flagship Ventures,… Full Article
ar Harvard to open new lab space named after Celtics co-owner By www.bizjournals.com Published On :: Tue, 01 Nov 2016 11:06:22 +0000 On Thursday, Harvard University will open a 15,000-square-foot life science lab in Allston named after Steve Pagliuca, and executive at Bain Capital and co-owner of the Boston Celtics. The Pagliuca Harvard Life Lab will be the home to 20 startup ventures founded and run by Harvard faculty, alumni, students, and postdocs. The first 17 of those were revealed by the university a couple weeks ago, and they include drug and vaccine developers as well as DNA sequencing companies. Mayor Marty Walsh will… Full Article
ar Phase 3 trial of Libtayo® (cemiplimab) as monotherapy for first-line advanced non-small cell lung cancer stopped early due to highly significant improvement in overall survival By www.news.sanofi.us Published On :: Mon, 27 Apr 2020 08:40:00 -0400 - Libtayo decreased the risk of death by 32.4% compared to chemotherapy Full Article
ar Libtayo® (cemiplimab) shows clinically meaningful and durable responses in second-line advanced basal cell carcinoma By www.news.sanofi.us Published On :: Tue, 05 May 2020 08:25:00 -0400 Objective responses seen in 29% of patients with locally advanced basal cell carcinoma (BCC) Full Article
ar What Can We Learn From The Apple Heart Study? By www.cardiobrief.org Published On :: Wed, 13 Nov 2019 23:16:09 +0000 Do we ever learn from our past mistakes? For many years we believed that technology was an inevitable force for good. It would give us instant access to a near infinite amount of information and allow us to easily and instantly connect with nearly anyone on earth. What could go wrong? The answer is that...Click here to continue reading... Full Article People Places & Events Policy & Ethics Prevention Epidemiology & Outcomes $AAPL Apple Apple Watch technology wearables
ar Biocon/Mylan launch pegfilgrastim biosimilar Fulphila in Australia By www.gabionline.net Published On :: Mon, 04 May 2020 08:08:24 +0000 US-based drugmaker Mylan and partner India-based biologicals specialist Biocon have announced the launch of their pegfilgrastim biosimilar, Fulphila, in Australia. The drug can be used to treat neutropenia (a lack of white blood cells) in cancer patients. Full Article
ar Non-innovator biologicals in India: regulatory context and areas for improvement By www.gabionline.net Published On :: Mon, 04 May 2020 08:14:37 +0000 There are major regulatory lapses in the manufacturing of similar biologics in India. The use of scientific audits could strengthen the regulatory system and improve the provision of high quality biosimilars in the country, according to a recent opinion piece [1] by Dr GR Soni, which was published in GaBI Journal. Full Article
ar FDA approves Proventil and Daraprim generics By www.gabionline.net Published On :: Fri, 08 May 2020 08:26:22 +0000 The US Food and Drug Administration (FDA) has approved the first generic version of a commonly used inhaler, marketed as Proventil, and the anti-parasitic Daraprim, which has previously been the subject of a price gouging scandal. Full Article
ar Celltrion files application with EMA for adalimumab biosimilar By www.gabionline.net Published On :: Fri, 08 May 2020 08:28:50 +0000 Celltrion has submitted an application to the European Medicines Agency (EMA) for its adalimumab biosimilar, currently known as CT-P17. Full Article
ar Online education for diabetes specialists on biosimilar insulins By www.gabionline.net Published On :: Fri, 08 May 2020 08:30:39 +0000 An online educational course has been published by Medscape in collaboration with the Association of Diabetes Care & Education Specialist. Full Article
ar Mycenax sells tocilizumab biosimilar to Richter By www.gabionline.net Published On :: Fri, 08 May 2020 08:35:44 +0000 Taiwanese biosimilars developer Mycenax announced on 28 April 2020 that it had made a deal with Hungary-based Gedeon Richter (Richter) regarding its tocilizumab biosimilar. Full Article
ar Pegfilgrastim biosimilar Fulphila launched in Canada By www.gabionline.net Published On :: Fri, 08 May 2020 08:42:40 +0000 US-based drugmaker Mylan and partner, India-based biologicals specialist Biocon, announced on 28 April 2020 the launch of their pegfilgrastim biosimilar, Fulphila, in Canada. This is the second biosimilar from the pair to be launched in the country. Full Article
ar No Need for a Crystal Ball in Some Scenarios By strengthenfda.org Published On :: Fri, 01 May 2020 17:05:32 +0000 FDA — along with NIH, CDC, and other front-line public health agencies — is caught up in the urgent COVID-19 efforts. Appropriately, enormous resources are being devoted to fighting the pandemic and more funding will come, if needed. At the same time, we are getting positive reports on the FDA’s efforts to carry out the […] Full Article Analysis and Commentary appropriations complex planning Resources science vaccine workload
ar McCaul Speaks in Support of the Childhood Cancer STAR Act By childhoodcancer-mccaul.house.gov Published On :: Tue, 22 May 2018 04:00:00 +0000 Full Article
ar STAR Act Heads to President’s Desk By childhoodcancer-mccaul.house.gov Published On :: Wed, 23 May 2018 04:00:00 +0000 WASHINGTON, D.C. – Co-Chairs of the Childhood Cancer Caucus, Reps. Michael McCaul (R-TX), Jackie Speier (D-CA), Mike Kelly (R-PA), and G. K. Butterfield (D-NC), applaud the passage of the Senate companion to their bill – S. 292, the Childhood Cancer STAR Act. The STAR Act passed the House today by a unanimous vote. It addresses the four major concerns facing the pediatric cancer community: Survivorship, Treatment, Access, and Research, and will elevate and prioritize the fight against childhood cancer at the National Institute of Health (NIH). The members released the following joint statement: "Today was a long anticipated day for the pediatric cancer community, and one to be celebrated. This bill is the most comprehensive childhood cancer bill to ever pass Congress and will finally head to the president’s desk to be signed into law. Childhood cancer remains one of the deadliest killers of our kids and we as a Congress, and a nation, must say, ‘Enough is enough.’ As co-chairs of the Childhood Cancer Caucus, we would like to thank all those who made this possible, including the Alliance for Childhood Cancer and the entire childhood cancer advocacy community.” Click here to watch McCaul’s floor remarks ahead of the House passage of the STAR Act. Full Article
ar McCaul on KRIV Discuss the Childhood Cancer STAR Act By childhoodcancer-mccaul.house.gov Published On :: Fri, 25 May 2018 04:00:00 +0000 Full Article
ar McCaul Talks Childhood Cancer STAR Act with Sadie Keller on Lone Star Politics By childhoodcancer-mccaul.house.gov Published On :: Mon, 04 Jun 2018 04:00:00 +0000 Full Article
ar McCaul Talks Childhood Cancer STAR Act with Sadie Keller on Inside Texas Politics By childhoodcancer-mccaul.house.gov Published On :: Mon, 04 Jun 2018 04:00:00 +0000 Full Article
ar McCaul Speaks About Childhood Cancer STAR Act with Sadie Keller on FOX's Good Day By childhoodcancer-mccaul.house.gov Published On :: Mon, 04 Jun 2018 04:00:00 +0000 Full Article
ar New Bipartisan ChiPACC Act Provides Better Medicaid Coverage to Children in Need By childhoodcancer-mccaul.house.gov Published On :: Fri, 27 Jul 2018 04:00:00 +0000 WASHINGTON, D.C. – Five lawmakers introduced a bipartisan bill giving a full range of medical services to families with children who have life-limiting illnesses and who qualify for Medicaid, which currently has gaps in such coverage. The Children’s Program of All-Inclusive Coordinated Care (ChiPACC) Act (H.R. 6560) would let states create comprehensive care programs for these children. Its authors are the Co-Chairs of the Congressional Childhood Cancer Caucus: Representatives Michael McCaul (R-TX), Jackie Speier (D-CA), G.K. Butterfield (D-NC), and Mike Kelly (R-PA), together with Representative Diana DeGette (D-CO), a senior member of the House Energy and Commerce Committee. “Families with children facing life-limiting illnesses need all the support they can get, and they should be empowered to seek out that support,” the bill’s sponsors said in a joint statement. “We owe it to these kids and their loved ones to help ensure more compassionate care in their most trying times.” Gaps in Medicaid coverage of hospice and palliative services have deprived many beneficiaries of the care they need because the program does not cover some of children’s unique medical needs. Under this bill, the family of every child who qualifies for Medicaid will receive a specialized care plan covering a range of services – palliative, counseling, respite, expressive therapy and bereavement – providing them and their families greater comfort and peace of mind. ### Full Article
ar Director of BARDA leaves position amid pandemic By www.biopharma-reporter.com Published On :: Wed, 22 Apr 2020 11:33:00 +0100 Rick Bright confirmed as having left his position as director of BARDA as the agency provides aid to develop solutions for COVID-19. Full Article Bio Developments
ar Mogrify and Sangamo in license agreement for ‘off-the-shelf’ CAR-Treg By www.biopharma-reporter.com Published On :: Thu, 23 Apr 2020 12:16:00 +0100 Sangamo plans to utilize Mogrifyâs cell conversion technology to develop CAR-Treg cell therapies. Full Article Bio Developments
ar AskBio buys BrainVectis for early-stage gene therapies By www.biopharma-reporter.com Published On :: Mon, 27 Apr 2020 15:00:00 +0100 AskBio acquires gene therapy biotech working on treatments for neurodegenerative disorders. Full Article Markets & Regulations
ar AZ and Oxford University partner to develop coronavirus vaccine By www.biopharma-reporter.com Published On :: Thu, 30 Apr 2020 13:02:00 +0100 Under the agreement, AZ will develop, manufacture and distribute the vaccine that has already begun Phase I trials. Full Article Bio Developments
ar COVID-19 vaccine in one year ‘wishful thinking’ By www.biopharma-reporter.com Published On :: Mon, 04 May 2020 09:27:00 +0100 The likelihood of an effective vaccine being developed and scaled up in less than 12 months is unrealistic, suggests GlobalData analyst. Full Article Bio Developments
ar Sanofi insulin biosimilar close to European entrance By www.biopharma-reporter.com Published On :: Tue, 05 May 2020 15:31:00 +0100 Sanofiâs insulin aspart biosimilar receives positive opinion from the EMAâs CHMP. Full Article Markets & Regulations
ar Menarini set to acquire Stemline for $677m By www.biopharma-reporter.com Published On :: Thu, 07 May 2020 14:53:00 +0100 Menarini adds Stemlineâs lead product, Elzonris, and its presence in the US with buyout deal. Full Article Markets & Regulations
ar Principles for COVID-19 Healthcare Communications – 1 Keep it Simple, Keep it Organized By eyeonfda.com Published On :: Tue, 24 Mar 2020 12:34:35 +0000 On February 21 I published a piece on LinkedIn – Communications Considerations for Medical Manufacturers as the COVID-19 Epidemic Emerges – that provided an overview of some of the communications considerations for pharma, biotech and device manufacturers related to the … Continue reading → Full Article Business/Industry News Crisis Communications Current Affairs Useful Resources
ar Impact of COVID-19 on Regulatory Enforcement and Approvals – Part 2 By eyeonfda.com Published On :: Thu, 26 Mar 2020 10:48:35 +0000 Earlier this month I published a blog posting that raised questions related to the potential for disruption of approvals in the wake of FDA actions to limit inspections due to the COVID-19 pandemic. Subsequently I had the opportunity to pose … Continue reading → Full Article Advisory Committee Prepapartion Approval Announcements Current Affairs FDA Policy #coronavirus #COVID-19 #COVID-19 #coronavirus #pharma
ar Impact of COVID-19 on Regulatory Enforcement and Approvals – Part 3 – FDA Adds Resources to Facilitate COVID-19 Research By eyeonfda.com Published On :: Wed, 01 Apr 2020 12:05:05 +0000 With the COVID-19 impact making itself apparent on a daily basis as the numbers climb and organizations respond, the effects on the pharma and biotech sector also shifts. Yesterday FDA announced a new concentration of agency assets to be focused … Continue reading → Full Article Current Affairs FDA Policy
ar Principles for COVID-19 Healthcare Communications – 2 – The Virtual Medical Meeting By eyeonfda.com Published On :: Thu, 09 Apr 2020 11:15:07 +0000 Virtually everyone is going virtual. Even in February, which seems like a very long time ago, many organizers began either postponing or canceling major conferences and meetings. This has included major medical meetings and given that large gatherings will be … Continue reading → Full Article Advisory Committee Prepapartion Current Affairs
ar Impact of COVID-19 on FDA Enforcement and Approvals – Part 5 – FDA Provides Update to Shape Expectations on New Approvals By eyeonfda.com Published On :: Fri, 17 Apr 2020 15:45:55 +0000 In response to written questions submitted last month regarding the potential for delays, FDA had stated that “CDER remains fully capable to continue daily activities, while responding to the public needs of the current COVID-19 outbreak.” In a subsequent blog … Continue reading → Full Article Approval Announcements COVID19 FDA Policy #coronavirus #COVID19
ar The Pharmaceutical-Biotech-Devices Industries Face a New World Post-Pandemic By eyeonfda.com Published On :: Mon, 04 May 2020 11:23:30 +0000 There is going to be a time in the not too distant future, when the fuller picture of the healthcare impacts of COVID-19 come into sharper focus. When that happens, it is not likely to be pretty. In large part, … Continue reading → Full Article COVID19 Current Affairs Pharma Industry Image #coronavirus #COVID19 pandemic
ar Canada: A Haven for Internet Pharmacies and Organized Crime By searchingforsafety.net Published On :: Mon, 08 Sep 2014 18:15:36 GMT Posted by Reed Beall and Amir Attaran (respectively Phd Candidate and Professor, University of Ottawa) In 2005, the FDA launched an investigation into pharmaceuticals bought from “Canadian” internet pharmacies online and shipped to US consumers. Of 1700 packages these pharmacies supplied, fully 85 percent of those actually came from somewhere else, but 15 percent really came from Canada. Worse, 32 of the drugs were found to be counterfeit. All of these pacakges were ente [...] Full Article Uncategorized
ar Canadians kept in the dark over substandard medicines By searchingforsafety.net Published On :: Fri, 12 Sep 2014 02:44:26 GMT Posted by Roger Bate A Star Newspaper investigation of drug quality in Canada (see here) demonstrates the risks patients in rich nations like Canada run from receiving poor quality medicines, especially imported from India. What is most worrying is the lack of transparency at some western health agencies. What the investigation shows is that Health Canada has hidden information about problems with medications. While it is true that educated people occasionally make bad medicine choices (think [...] Full Article Uncategorized
ar WHO to ignore powerful producers of substandard medicine By searchingforsafety.net Published On :: Wed, 08 Apr 2015 14:57:28 GMT Posted by Roger BateThe World Health Organization just posted its new report on inferior medicines (http://apps.who.int/gb/ebwha/pdf_files/WHA68/A68_33-en.pdf). It is called the member state mechanism (MSM) report on Substandard/spurious/falsely-labelled/falsified/counterfeit medical products - SSFFC for short. This report is the culmination of multiple meetings of health bureaucrats to finalize how to combat inferior medicines. Or rather that is what one hoped for when the SSFFC process began [...] Full Article Uncategorized