Clinical pharmacology and therapeutics | 2021

A proposed approach for the determination of the bioequivalence acceptance range for narrow therapeutic index drugs in the European Union.

 
 
 
 
 
 
 
 

Abstract


The current regulatory criterion for bioequivalence of narrow therapeutic index (NTI) drugs in the European Union requires that the 90% confidence interval for the ratio of the population geometric means of the test product compared to the reference for AUC, and in certain cases Cmax , to be included within the tighter acceptance range of 90.00 - 111.11%. As a consequence, sponsors need to recruit a higher number of subjects to demonstrate bioequivalence and this may be seen as increasing the burden for the development of generics. This one-size-fits-all criterion is particularly questionable when the within-subject variability of the reference product is moderate-to-high. As an alternative, we propose a further refined statistical approach where the acceptance range is narrowed based on the within-subject variability of the reference product of the NTI drug, similar to the one used for widening the standard 80.00 - 125.00% acceptance range for highly variable drugs. The 80.00-125.00% acceptance range is narrowed, only if the within-subject variability is lower than 30%, down to the current NTI acceptance range of 90.00 - 111.11% when the within-subject variability is 13.93% or lower. Examples within the current EMA list of NTI drugs show a considerable reduction in required sample size for drugs like Tacrolimus and Colchicine, where the predicted within-subject variability is 20-30%. In these cases, this approach is less sample size demanding without any expected increase in the therapeutic risks, since patients treated with reference products with moderate-to-high within-subject variability are frequently exposed to bioavailability differences larger than 10%.

Volume None
Pages None
DOI 10.1002/cpt.2451
Language English
Journal Clinical pharmacology and therapeutics

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