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Master 2 - Réglementation du Médicaments dans l’Union Européenne 252012-2013 Février 2013 Méthodes d'évaluation de l'innovation des médicaments en Europe Louise BILLON Virginie BLANC Mehdi CHERBATLI Anne GOURION Laure TRAUCHESSEC Cas de la France, du Royaume-Uni, et de l’Allemagne 1 AGENDA • Introduction • Agencies presentation and comparison • Assessment Examples • Perspectives 2 INTRODUCTION 3 Innovation & medicines Truly innovative: • offers additional clinical efficacy and/or effectiveness as compared to current care • potential to lead to key improvements in health outcomes at the individual and the population levels 4 Source : A call to make valuable innovative medicines accessible in the European Union – OMS – July 2010 Innovation in Medicines Assessment particularities • Distinction between the data needed : • to obtain a MA • to get an innovativeness and value appraisal • Criteria for MA • Quality • Safety • Efficacity • Criteria for pricing and reimbursement decision • • • • Therapeutical need Relative effectiveness Value for health … Source : A call to make valuable innovative medicines accessible in the European Union – OMS – July 2010 5 Healthcare Systems in Europe • Vary very widely • Conventionally classified into : • Beveridgian systems ⟺ national health systems • Based upon the funding of the resources spent on health through taxation • As in the United Kingdom, • Bismarckian systems ⟺ health insurance systems • • • • Professional affiliation compulsory Funding by employer and employee contributions Based on the principle of solidarity As in France or in Germany, although increasingly these latter do also draw part of their financing from taxation. 6 Overview (2010) FRANCE • Population : 65,5 million • GDP/inhabitant : 27 550 € UNITED KINGDOM • Population : 63,2 million • GDP/inhabitant : 27 870 € GERMANY • Population : 81,8 million • GDP/inhabitant : 31 320 € Source : WHO Global Health Expenditure atlas-World Health Organization 2012 7 Overview 8 Source : WHO Global Health Expenditure atlas-World Health Organization 2012 Healthcare expenditure • Part of GDP alloted to health expenditure in 2009 9 Source : OCDE, 2009 Healthcare expenditure % of GDP 2007 2008 2009 2010 FRANCE 11,1 11,2 11,9 11,9 UNITED KINGDOM 8,4 8,9 9,8 9,6 GERMANY 10,5 10,7 11,7 11,6 Evolution 10 AGENCIES 11 Health Technology Assessment Agencies FRANCE UNITED KINGDOM GERMANY 12 AGENCIES France 13 Medicines expenditure in France • Bismarkian model of Health System • Health expenditure for drugs in 2011 = 25.7 billion € • 76% in private sector • 24% in public sector • = 1.9% of GDP • Medicines expenditure increased in the last decade • Important pressure on regulation 14 Medicines expenditure now regulated ONDAM respected in 2011 Rapport d’activité du CEPS 2011 Process for private sector Marketing Authorisation HAS – Commission de la transparence SMR, ASMR, Targeted population UNCAM CEPS Reimbursement Price 15 Ministry decision OJ publication Source: Rapport d'activité 2011 du CEPS Process for hospital Marketing Authorisation HAS – Commission de la transparence SMR, ASMR, Targeted population Ministry decision – OJ publication Health Trust Approved Drugs included in GHS Hospital Drugs excluded of GHS Retrocession CEPS Price Call for bids Ministry decision - OJ publication 16 Haute Autorité de Santé & Commission de la Transparence HAS • Independent Public Health authority • Financed by subventions (91%) and own revenue (7%) • ≠ Missions Provide opinion to public decisionary instances for collective final endorsement of cares CT • • • • One of the 8 commissions of the HAS 20 voters : all scientists + 6 deputy members 8 consultative members: ministries, health insurance, ANSM, LEEM Missions : assessment of drugs / opinion / information 17 CT Opinion Content SMR Favorable /unfavorable for reimbursement • For all the indication covered by the MA? or restricted indication? ASMR Assessment of the progress • What is the progress ? For which population? Targeted population • Quantitative estimation Recommendation • Place of the drug in therapeutic strategy • Terms of use Uncertainties • Need of complementary studies? Only opinion • Decision by CEPS, UNCAM and Ministry • Not actionable 18 CT Opinion Medical Benefit : SMR Criteria • Efficacy • Safety (adverse reactions) • Seriousness of the disease • Preventive/curative/symptomatic characteristic • Role in the therapeutical strategy • Impact on Public Health SMR levels • Important/Major • Moderate • Low • Insufficient 19 CT Opinion Improvement in Medical Benefit : ASMR Criteria Comparison with existing/reference care Comparative care must be choosen carefully Pivotal study may not be sufficient Additional study may be required ASMR levels I = major II = important III = moderate IV = low V = no improvement 20 CT Activities • 250 first registration assessments per year • 20-40 new indication assessments per year ASMR ≤ 4 for 1st registration ASMR ≤ 4 for new indication 30 30 25 25 ASMR 20 ASMR 20 IV III 15 IV III 15 II I 10 5 II I 10 21 5 0 0 2007 2008 2009 2010 2011 2007 2008 2009 2010 2011 Pricing CEPS = Interministerial committee, under the authority of ministeries in charge of Health, Social Security and Economy • Composition • 1 president + 1 vice-president for drugs • 26 members from DGS, DGSS, DGCCRF, DGOS, Health Insurance representing members • Consultative members from Ministries concerned (budget, research, agriculture…) depending on the subject • Mission: price fixing • Drugs • Medical Devices 22 Pricing • Principle : • Following CT opinion • Convention between industry and CEPS = « accord cadre » Leem/CEPS • New dispositions since December 5th 2012 • For new drugs • For innovative drugs • Criteria: • • • • • • ASMR level Price of similar treatments Sales volume expected/observed Terms of use expected/observed Prices in other EU countries Medico-economic assessment results 23 Pricing : exceptions Sometimes CEPS does not follow CT opinion = CEPS decision based on different criteria than CT ASMR granted despite CT opinion • Medical need not fully covered by other treatment • Responder/non responder = no statistical difference vs comparator but active, ASMR V for CT, but special interest for some patients ASMR recognized by CEPS • Old comparator with low cost (price incompatible with new prices of products) ASMR recognized by CEPS 24 UNCAM assessment • UNCAM : = Authority grouping the 3 main health insurance systems • Reimbursement rate offered based on HAS/CT opinion SMR Important/Major Reimbursment rate 65% or 100%* Moderate 30% Low 15% Insufficient negative opinion * according to seriousness of the disease. 25 Conclusion • Key actors: HAS/CT, CEPS • Assessment based on SMR/ASMR • No economic consideration for market access • France give the same chances to every patient for access to treatments • Cost for the Social Security • Supposedly transparent • no clear algorithm between ASMR and prices • Possible rebates negociations 26 Future : Medico-economic assessment ? • CEESP • Created in July 2008 • Composition : 31 members, with competences in Economic Assessment and Public Health • Missions • until 2012 : possibility of recommendations and opinions in order to gain a more efficient use of the products • with LFSS 2012 : medico-economic assessment required which will be used for price negociation (decree of October 2012) • When? • if industrial asks for ASMR I, II, III and the product may have a significant impact on Health Insurance expenses • How? • File deposit : when filed to the CT • Content of the file: CT file + medico-economic data 27 Future : Medico-economic assessment ? • ITR: Index Thérapeutique Relatif • Replacement of SMR and ASMR • Criteria for assessment of new drugs • Primary criteria : efficacy vs comparative drug • Secondary factors : safety and conditions of use • Objective : determination of price and reimbursement • ITR levels: • Inferior no reimbursement • Comparable reimbursement but lower price • Superior reimbursement with higher price • Minimal • Moderate • Major 28 AGENCIES United-Kingdom 29 Healthcare System in the UK • Beveridgian model • Medicines prescriptions • Prescription charge (England: £7.65 per item from 01-Apr-2012) • contribution to the NHS • not related to the cost of the medicine • But free prescription for a large proportion of the population • children (under 16) • the elderly (over 60) 30 Healthcare System in the UK • Unpalatable fact that the resources available for the provision of healthcare are finite : “No publicly funded healthcare system, including the NHS, can possibly pay for every new medical treatment which becomes available. It makes sense to focus on treatments that improve the quality and/or length of someone's life and, at the same time, are an effective use of NHS resources.” 31 Healthcare System in the UK The NHS in England : current structure 32 Source : www.abpi.org.uk Healthcare System in the UK • Key Facts on the costs of medicines 0,9% of GDP on medicines Proportion of the NHS budget spent on medicines : 10% in 2011 New medicines only 10% of the NHS’s total expenditure on medicines Source : www.abpi.org.uk The NHS spent about £12 billion on medicines in 2009 Branded medicines ≈ 80% of the NHS drug bill 33 Pricing in the UK • Controlled under the Pharmaceutical Price Regulation Scheme (PPRS) • voluntary, non-statutory scheme • regulates the profits that companies can make • renegotiated periodically by the Department of Health and the ABPI ( 2009 2014) • seeks to achieve a balance between : • reasonable prices for the NHS • and a fair return for the industry to enable it to research, develop and market new and improved medicines • New products introduced following the granting of MA • priced “at the discretion of the company” 34 Reimbursement • HTA in the UK NICE • = National Institute for Health and ClinicalExcellence • Special Health Authority funded by the Department of Health • Set up in 1999 to reduce variation in the availability and quality of NHS treatments and care • Composition • 1 chairman • 8-10 members who are not officers of the Institute • 6 members who are officers of the Institute • Chief Officer, Chief Finance Officer, Director of Clinical and Public Health, Director of Health Improvement 35 Reimbursement NICE • Functions • balance between benefits and costs • the degree of need of persons for health services • the desirability of promoting innovation in the provision of health services • Provides guidance to the NHS to help resolve uncertainty about • which medicines, treatments, procedures and devices represent the best quality care • and which offer the best value for the money allocated to the NHS 36 Reimbursement Evaluating new treatments • Technology Appraisal Systems - Criteria • Is the technology likely to result in a significant health benefit […] if given to all patients for whom it is indicated? • Is the technology likely to result in a significant impact on other health related government policies ? • Is the technology likely to have a significant impact on NHS resources if given to all patients for whom it is indicated? • Is there likely to be significant controversy over the interpretation or significance of the available evidence on clinical and cost effectiveness? 37 Reimbursement Multiple & Single Technology Appraisal • MTA is for a disease area or class of drugs and contains either • new evidence gathered after the launch of a drug or • new economic modelling. • STA has been developed to provide early guidance for • new drugs targeting a single indication or • new indications for drugs already on the market. 38 Reimbursement QALY • Quality-Adjusted Life Year ⟺ measuring effectiveness and cost-effectiveness • How is this calculated ? • Gives an idea of how many more life years of a reasonable quality a person might gain as a result of treatment. • Adjusted to patient’s quality of life (between 0 and 1). 39 Reimbursement QALY 40 Reimbursement ICER • Superiority • ‘incremental cost effectiveness ratio’ (ICER) : decide whether the increased cost gives value-for-money in terms of improved health. • express ICERs in terms of cost/QALY • ICER ‘threshold’ above which a technology would invariably be deemed cost ineffective (around £25,000) • Particular circumstances : ICERs above the range of £50 000/QALY may be considered as cost effective. 41 Reimbursement Example • Patient X has a serious, life-threatening condition : Patient X Standard treatment New drug Additional lifetime 1 year 1.25 year Quality of life 0.4 0.6 QALY 0.4 0.75 Cost £3,000 £10,000 The difference in treatment costs (£7,000) / QALYs gained (0.35) = £20,000/QALY. • The new treatment would cost £20,000 per QALY. 42 Reimbursement NICE decisions • NICE health technology appraisal decisions : 1. Recommended : 2. Restricted : To be made available to all patients considered within the scope of the appraisal To be made available to a subgroup of patients relative to the scope of the appraisal 3. Not recommended : 4. Terminated : Not recommended for use by any patient relative to scope Appraisal not complete and decision not reached 43 Reimbursement NICE decisions Not recommended decisions 44 Source : Office of Health Economics (OHE) Exceptions • Patient Access Scheme (PAS) • created by drug companies • In which they offer discounts or rebates to the NHS • enables patients to have access to high cost drugs • “PAS list” published by the NICE to recommend treatments which have been deemed too expensive and not cost effective • Cancer Research Funds • Spans 2011-2014 • Mostly government-funded (£200 million/year) • Conditions for applying : • Living in England (depending on the SHA) • Only through oncologist • Must have considered all the other options 45 Reimbursement NICE & ICER - Controversy • ICER is controversial because of its utilitarian approach to determine who will or will not receive treatment. • Efficiency takes priority over equity : rejection of treatments which could improve and save lives • Difficulty in evaluating objectively quality of life and costs (especially indirect ones) and defining a threshold • Health care resources are inevitably limited, and need to be allocated in a way that is approximately optimal for society 46 Undergoing reforms • The Health and Social Care Act in 2012 • Abolishment NHS primary care trusts and Strategic Health Authorities (SHAs), • Becoming “clinical commissioning groups” partly run by the general practitioners, thus empowering them • What would it change for the NICE ? • NICE National Institute for Health and Care Excellence • Implementation of the Value Based Pricing (VBP) instead of Pharmaceutical Price Regulation Scheme in 2014 47 AGENCIES Germany 48 Healthcare system • Bismarckian model : • Professional affiliation compulsory • Funding by employer and employee contributions • Based on the principle of solidarity • More than 250 different insurance funds • Private and public • Autonomy of each insurance fund : - Provides for freely contribution rates - Important role of negotiations with representatives of doctors and hospitals • Patients are free to choose their insurance fund Insurance funds are excedentary 13.8 billion in 2012 49 Healthcare system • Coexistence of public and private healthcare insurances • Choose their health insurance fund Insured person < 49 500€ > 49 500€ Free choice SHI • Public • Compulsory for all workers with gross revenue < 49 500€/year • 90% of the German population Private • Optional • 10% of the German population • More complete coverage 50 Healthcare System • Key Facts on the costs of medicines : 60% of generics (price) Health expenditure: 2721€/inhabitant in 2009 Medecines expenditure : 1,8% of GDP in 2009 GKV spent 32 billion € for medicines in 2010 Medecines expenditure : 15% of health budget in 2009 Source : OCDE, Panorama de la Santé 2011, op. cit & IMS HEALTH, Midas, Market segmentation, June 2009 51 Agencies Organisation Federal ministry of Health G-BA Specific request Appraisal of evidence regarding Assessment of best available evidence on safety and effectiveness needs and costs Directive IQWiG Recommendation Evidence report 52 G-BA Gemeinsame Bundesausschuss • Federal Joint Committee created in 2004 • Composition : • 13 members : • 3 impartial members including the chairman • 5 representatives of the Sickness fund • 5 representatives of health care providers : Vote Physicians, dentists, psychotherapists and hospitals • 5 patients’ representatives : can file application Cannot vote 53 G-BA • Missions : • Responsible for reimbursement decisions in the GKV • Based on IQWiG opinion • Issues standardized and binding directives in order to translate the legal framework into practice • directives are legally binding • is called “little legislator” 54 IQWiG • Independent scientific institut created in 2004 • Missions • Commissionned by G-BA or the federal Ministry of Health • Treats Issues of fundamental importance on its own initiative • Composition : • 12 members : 6 representants of health insurances 6 representants of healthcare providers • Finance : • by contributions from the members of all statutory health insurance funds (GKV) • The amount of levy is fixed by G-BA each year 55 IQWiG • Responsibilities and objectives : • Objectively reviews the advantages and disadvantages of health care services for patients. • Production independent and evidence-based reports on : • • • • Drugs Non-drug interventions (surgical procedures….) Diagnostic and screening test Clinical practice guidelines (CPGs) and disease management programs (DMPs) • Providing easily understandable health information for the public. 56 IQWiG • Basic principles : • Independence : • Scientific work carried out in an independent manner • Notifiable conflict of interest • Objective and scientific evidence-based • Patient oriented : • IQWiG uses criteria that are important to patients. • Transparent : • Publication of all results (final & preliminary reports, dossier assessment, working paper etc.) acessible to all • Scientists, industry, professional societies, doctors, and patients have the opportunity to submit comments on IQWiG's work at different stages in the project. 57 IQWiG • Method : • Systematic search in the international scientific literature • Produces a synthesized benefit analysis from these results • Produces report have been commissioned by the G-BA Contain recommendation for the G-BA NB : IQWiG does not make the decision as to whether the costs of a service should be reimbursed by the health insurance funds. Only the G-BA makes this decision. 58 2011 : Pricing and reimbursement reform • Before 2011 : Manufacturers are free to set prices of all drugs • Prescription drugs automatically reimbursed once market approval unless they are included in the negative list • No formal economic evaluation • 2011 : AMNOG (Act for the restructuring of the pharmaceutical market in statutory health insurance) • Benefit assessment for every new drug • New onus of proof on manufacturer to demonstrate added benefit vs an appropriate comparator • Price negociation 59 Organisation of Medicine's Assessment Market entry Month 3 Submission of a dossier by the manufacturer Benefit Assessment ( IQWiG ) Month 6 Decision about additional benefit G-BA (appraisal) Additional benefit ? Month 12 Price negociation (manufacturers, Statuary health insurance) 60 Drug assessment • Early benefit assessment • For new registered medicinal products • Requested by G-BA : Choose of comparator, population, … • Based on a dossier prepared by the manufacturer • In the first year • IQWIG evaluation • 5 levels of added benefit : • • • • • • Major Considerable Minor Unquantifiable added benefit No added benefit Less benefit • Only opinion • G-BA decision 61 Drug assessment • Added benefit criteria • Approach developped by the IQWIG : evaluation of the extent of added benefit Outcome Category Survival time (Mortality) Symptoms (Morbidity) Quality of life Adverse effects Major increase Long terme freedom from serious or severe symptoms or complication Major improvement Extensive avoidance of serious or severe adverse effect Modarate increase Alleviation of serious or severe symptoms or complication Non serious symptoms or complication : Significant reduction Significant improvement Serious or severe adverse effect : Relevant avoidance Other advers effects : Significant avoidance Any increase Serious or severe adverse effect : Any reduction Non serious symptoms or complication : Reduction Relevant improvement Serious or severe adverse effect : Any reduction Other advers effects : Relevant avoidance Major Sustained great improvement in therapyrelevant benefit whici has not previously been achieved vs appropriate comparator) Added benefit Considerable Marked improvement in therapy-relevant benefit whici has not previously been achieved vs appropriate comparator) Minor Moderate and not only marginal improvement in therapy-relevant benefit whici has not previously been achieved vs appropriate comparator) 62 Pricing Proof of added benefit The price will be in proportion of the added benefit No price negociation Reference pricing Lower price if less benefit 63 Pricing Decision about additional benefit (G-BA appraisal) no Additional benefit ? yes Referent price yes Reference price applicable ? Price negociations SHI/manufacturer < no If requested by manufacturer, health economic evaluation Price similar to comparator Agreement ? no yes Reimbursable price Decision of arbitrage board If requested by SHI or manufacturer, health economic evaluation • Negociation between SHI and G-BA 64 Conclusion • Germany is an important market for the industries : • First pharmaceutical market in Europe • Price given in Germany is usually used as a reference in many European countries • AMNOG : • Benefit assessment • Hopefully saving 1.7 billion €/year after the last reform • Mandatory rebates granted by pharmaceutical manufacturer in 2011 : 749 million €. Consequence : Some manufacturers have resorted to not putting their drugs on the German market Less access to innovation ? 65 COMPARISON 66 Comparison France UK Germany Since … - Price Reimbursement - 1994 - 1999 - 1954 - 1999 - 2011 - 2005 HTA HAS/CT NHS/NICE G-BA/IQWiG Time of assessment Before launch Before launch After launch or on request Reimbursement Positive list Negative list Negative list Reimbursement criteria SMR ICER Added benefit level % of Reimbursement Different levels depending on SMR Yes/No Yes/No Maximum price 67 Comparison France UK Germany Pricing Negociation/ declaration with CEPS Taken as set by manufacturer Free for one year then negociated with G-BA Pricing criteria ASMR and « Accord cadre » N/A Added benefit Final reimbursement decisions Health Minister NHS – Department G-BA Of Health 68 ASSESSMENT EXAMPLES 69 ASSESSMENT EXAMPLES Zytiga® 70 Metastatic Prostate cancer Not to confuse : • Adenocarcinoma prostatic : • 1st male cancer • 2nd cause of death by cancer ( 9000 †/year in France) Evolution : • Slow (15 years) • Hormonoresistance • Benign prostate hyperplasia : 85% of men > 50 years 71 Source : Han et Al. J Urol 2003 Metastatic Prostate cancer Treatment strategy 72 Source : www.oncologik.fr ® Zytiga Abiraterone acetate • Pharmacological class : antineoplastic, antiandrogen • Mechanism of action : • Converted in vivo in abiraterone • Inhibitor of androgen biosynthesis • Therapeutic Indication : In association with prednisone or prednisolone in metastatic castration resistant prostate cancer in adult men : • who are asymptomatic or mildly symptomatic after failure of androgen deprivation therapy in whom chemotherapy is not yet clinically indicated • whose disease has progressed on or after a docetaxel-based chemotherapy regimen. • Pharmaceutical Company : Source : www.ema.com 73 ® Zytiga Assessment story 06/2012 05/2012 03/2012 02/2012 France UK Germany UK 09/2011 MA (UE) 74 COU-AA-301 – Phase III study • Study COU-AA-301 design • Randomised, Double-blind, Placebo-controlled • Comparing efficacity and safety of 1 regimen of abiraterone plus prednisone versus placebo plus prednisone • In previously treated men with metastatic castration-resistant cancer progressing after docetaxel • Objectives : • Primary objective : demonstrate superiority on survival • Others: evaluation of safety, further characterisation of PK and assessment of the potential utility of circulating tumour cells (CTCs) as a surrogate for clinical benefit . • Endpoints • Primary endpoint overall survival • Secondary endpoints : PSA response rate; Time to PSA progression; Radiographic progression free survival • Treatment • 1195 patients, randomised in a 2:1 ratio) • ❶ Abiraterone arm prednisone 5 mg twice daily + abiraterone 1000 mg once daily • ❷ Placebo arm prednisone 5 mg twice daily + placebo once daily 75 COU-AA-301 – Phase III study • Overall survival : interim analysis Median overall survival : Abiraterone : 14.8 months Placebo : 10.9 months Reduction in risk of death: 35.4% vs placebo (HR=0.65, p<0,001) • Results • Superiority over placebo in intermediary analysis • Independent Data Monitoring Committee recommended unblinding and cross-over of patients receiving placebo. • MA granted Source : De Bono et al. N Engl J 2011;364: 1995-2005. 76 HAS/CT Assessment: Key conclusions Study considered Pivotal studies COU-AA-301 SMR important • Prostate cancer is a life-threatening disease • Curative and 2nd line treatment treatment • Efficacy/ADR ratio important • Therapeutical alternative exists • Public Health interest : low ASMR III ASMR : moderate based on efficacy and tolerance Place of the drug in the therapeutic strategy • 1st line treatment : docetaxel • 2nd line treatment : docetaxel if responder or carbazitaxel ZYTIGA constitute an alternative to carbazitaxel with better tolerance Targeted population Estimated to 4000 patients/year in France 77 NICE Assessment: Key conclusions Study considered Pivotal study : COU-AA-301 Criteria for an end-of-life treatment • Short life expectancy (less than 24 months) without treatment, • Potentially extension to life (at least 3 months) with treatment • Small patient population Key benefits Can be taken orally at home Cost effectiveness • Expensive drug • Not provided enough benefit to patients to justify the price the NHS is being asked to pay • Even with the discount that the manufacturer has offered ICER = at least £ 63,200 /QALY after taking into account the discount Source : Abiraterone for castrationresistant metastatic prostate cancer previously treated with a docetaxel-containing regimen – February2012 – NICE draft guidance 78 NICE Assessment: Key conclusions Clinical effectiveness Clinically effective second-line treatment for castration-resistant metastatic prostate cancer Step change in treatment • Is an oral drug taken by patients at home • Is associated with few adverse reactions Cost effectiveness The manufacturer’s economic model closely adhered to the NICE reference case for economic analysis. ICER = £ 47,200 /QALY < £ 50,000 /QALY 79 Source : Abiraterone for castrationresistant metastatic prostate cancer previously treated with a docetaxel-containing regimen – June 2012 – NICE technology appraisal guidance 259 IQWiG Assessment: Key conclusions Research question Benefit assessment according to the treatment of metastatic castrationresistant prostate cancerof adult men Study considered Pivotal study : COU-AA-301 IQWiG opinion • Patient not eligible for further treatment with docetaxel : Considerable added benefit • Patient still eligible for further treatment with docetaxel : Added benefit not proven (incomplete supplied file) G-BA decision • Patient not eligible for further treatment with docetaxel : Positive recommandation • Patient still eligible for further treatment with docetaxel : Negative recommandation 80 Summary : • DECISION Recommended • PRICE = 3 400 € * • DECISION Positive opinion for MA dosage and indication Reimbursement = 100% • DECISION - • PRICE = 3 613 € * - Patient not eligible for further treatment with docetaxel : Positive recommandation Patient still eligible for further treatment with docetaxel : Negative recommandation • PRICE = 5 403 € * *120 tablets ⟺ 60 days 81 ASSESSMENT EXAMPLES Gilenya® 82 Multiple Sclerosis : Autoimmune disease of central nervous system : - demyelination of white matter - axonal damage Multifactorial disease - autoimmun - genetic - environmental - infectious Epidemiology - 2,5 Million people - sex ratio : 2♀/1♂ - peak level at 30 Various forms : - relapsing-remitting - secondary progressive - primary progressive 83 Source : www.vulgariz.com RRMS Treatment strategy 84 Source : www.vidalrecos.fr ® Gilenya Fingolimod • Pharmacological class : Immunosuppressant • Therapeutic Indication : • Single disease-modifying therapy in highly active relapsing-remitting multiple sclerosis for patient with : • High disease activity despite treatment with IFN-β • Rapidly evolving severe relapsing remitting multiple sclerosis • Mechanism of action : • metabolised by sphingosine kinase to the active metabolite fingolimod phosphate • Pharmaceutical Compagny : Source : www.ema.com 85 ® Gilenya Assessment story 03/2012 Germany 01/2012 08/2011 06/2012 UK France UK 03/2011 MA (UE) 86 FREEDOMS – Phase III study • Study • Randomized, double blind, superiority study • Comparing efficacity and tolerance of 0,5 mg and 1,25 mg fingolimod to that of placebo • In patients suffering from relapsing-remitting MS according to McDonald’s criteria, having had at least one acute relapse in the year preceding the inclusion or at least two in the two years preceding the inclusion. • Endpoints • Primary endpoint : Annualized relapse rate in 2 years • Secondary endpoints : • • • • % of patients without any disability progression Number of new or newly enlarging T2-hyperintense lesions Number of gadolinium-enhancing lesions on cranial MRI. % of patients free of relapses • Treatments • 1272 patients randomised in 1:1:1 ratio , during 24 months • 3 groups : • Fingolimod 0,5 mg, PO • Fingolimod 1,25 mg, PO • Placebo, PO 87 FREEDOMS – Phase III study • Results • Conclusion • Fingolimod • more effective than placebo in reducing the number of relapses. • lower dose as effective as the higher dose. • reduced the risk of disability progression by 30% and also reduced brain lesion activity as measured by MRI (at the lower, 0.5mg dose). • The number of relapses per year among patients treated with fingolimod was around half the number seen in patients given placebo. 88 TRANSFORMS – Phase III study • Pivotal study D2302 • Multicentric, randomised, controlled, Double-blind, Double placebo • Comparing efficacity and tolérance of fingolimod (0,5 mg and 1,25 mg) vs IFN-β1a • In patients suffering from relapsing-remitting MS according to McDonald’s criteria, having had at least one acute relapse in the year preceding the inclusion or at least two in the two years preceding the inclusion. • End Points • Primary endpoint : annualized relapse rate (relapses include new, worsening or reccurent neurologic symptoms) • Secondary end-point : • Number of new or enlarged lesions on T2 IRM at 12 months • % of patients without any disability progression • Treatments • 1292 patients with relapsing-remitting multiple sclerosis , during 12 months • 3 groups : • Fingolimod 0,5mg, PO, daily • Fingolimod 1,25mg, PO, daily • IFN-β1 30µg, IM, weekly Source : New England Journal of Medicine 362;5 January 20, 2010 89 TRANSFORMS – Phase III study • Efficacy results at 12 months (Primary endpoint) Significant reduction Fingolimod vs IFN-β1a No difference between Fingolimod 0,5mg and 1,25mg Annualized rate of relapse from baseline to 12 months • Conclusion • Superiority of oral fingolimod over intramuscular IFN-β1a • reduction of annualized relapse rate (0,16 - 0,20 vs 0, 33) • reduction of lesion activity and brain volume loss on MRI • No difference in time to confirmed progression of disability • Absence of dose-related differences requires further evaluation in the 2-years, placebo controlled phase III trial Source : New England Journal of Medicine 362;5 January 20, 2010 90 HAS/CT Assessment : Key conclusions Studies considered Pivotal studies : FREEDOMS and TRANSFORMS SMR important • Multiple sclerosis is a chronic evolving disabling disease • Preventive treatment for relapses and disability progression • Efficacy/ADR ratio: moderate (2 years) / unknown (long term) • Therapeutical alternatives exist: natalizumab and mitoxantrone • Special interest for oral form limited by the need of surveillance Infection, macular oedema, hepatic dysfunction, cancer (skin ++) ASMR IV ASMR : low, due to tolerance issue Place of the drug in the therapeutic strategy • • Mitoxantrone : aggressive forms Natalizumab and Fingolimod : very active disease and severe form with quick worsening case by case choice Targeted population Estimated between 9000 and 11000 patients/year in France 91 HAS/CT Assessment : Key conclusions Lack of efficacy data in the targeted population New assessment scheduled after 1 year : with updated tolerance data New data requested : Follow-up data of French patients treated with GILENYA Data submission no later than 2 years after registration 92 NICE Assessment : Key conclusions Studies considered Pivotal studies : FREEDOMS & TRANSFORMS Clinical effectiveness No significant proof of benefit VS existing treatments (no study VS Tysabri) Cost effectiveness Not judged cost-efficient, even after a discount ICER gained = £ 55,600/QALY 93 NICE Assessment : Key conclusions Step change in treatment • • Valuable new therapy Its oral formulation represents innovation in the treatment of multiple sclerosis Clinical effectiveness Only part of the population covered by the marketing authorisation for fingolimod was considered Cost effectiveness The manufacturer’s economic model could decrease the ICER to a level that would be considered a cost-effective use of NHS resources. ICER = £ 25,000 - £ 35,000/QALY Source : Fingolimod for the treatment of highly active relapsing–remitting multiple sclerosis – April 2012 – NICE technology appraisal guidance 254 94 IQWiG Assessment : Key conclusions Request from G-BA Benefit assessment of Fingolimod in comparison with : - Glatiramer acetate in patients with highly active RRMS who have failed to respond to a full and adequate course of IFN-β - IFN-β1a in patients with highly active RRMS, who have not received IFN-β - IFN-β1a in patients with rapidly evolving severe RRMS Studies considered Pivotal study : TRANSFORMS only Studies considered • Complementary data provided by the company - Subgroup analysis from TRANSFORMS subpopulation - Indirect comparison with glatiramer acetate • TRANSFORMS : pivotal study compare fingolimod vs IFN-β in patients with RRMS Data available only for 1 out of 3 subindications (patients with rapidly evolving RRMS) 95 IQWiG Assessment : Key conclusions IQWiG evaluation • Patients with highly active RRMS, full previous treatment with IFN-β - No evaluable data submitted by the pharmaceutical firm Added benefit of Fingolimod over glatiramer not proven • Patients with highly active RRMS, incomplete previous treatment with IFN-β - No evaluable data submitted by the pharmaceutical firm Added benefit of Fingolimod over IFN-β not proven • Patients with rapidly evolving severe RRMS - TRANSFORMS data Minor added benefit of fingolimod over IFN-β (because of best tolerance) G-BA decision • Benefit assessment limited to 3rd population because of lack of data for other populations and cardiac risks Reassessment of benefit assessment in 3 years • Not recommended for patient with cardiac issues 96 Summary : • DECISION Recommended • PRICE = 1 705 € * • DECISION Positive opinion for MA dosage and indication Health trusts approved Reimbursement = 65 % • DECISION Conditions - • PRICE = 1 923 € * - Revaluation of benefice assessment Patient with cardiac disorder : Negative recommandation • PRICE = 2 325 € * *28 capsules 97 Conclusion 98 Difficulties in Europe • Companies have to deal with 2 main problems: • Difficult macroeconomic environment Important pricing pressure on pharmaceutical companies • Discrepancies between data needed for obtaining MA & data needed for market access Assessment criteria for innovative medicines Centralized Local EMA HTA and competent bodies Efficacy Safety Relative efficacy Relative effectiveness Local medical need Ethical and social aspects Cost-effectiveness Post-marketing studies Organizational aspects Source : Bio Century – Week of February 18, 2013 – Volume 21.Number 7 99 Consequences for the companies • Pharmaceutical companies need to anticipate HTA demands to adjust their clinical development • Choice of comparative drugs • Choice of patients population/sub-populations • Discussion with HTA as soon as possible = phase II-III? • Important costs for companies = Companies may change their commercial approach in EU even if it is the 2nd pharmaceutical market New focus in emerging markets (BRICS) Source : Bio Century – Week of February 18, 2013 – Volume 21.Number 7 100 EU harmonisation wish • EUnetHTA - European network for Health and Technology Assessment • Objective • To put into practice an effective and sustainable HTA collaboration in Europe • To connect public national/regional HTA agencies, research institutions and health ministries, enabling • Effective exchange of information • Support to policy decisions by the Member States Globalize the evidence, localize the decision 101 EU harmonisation wish • Domains of the HTA Core Model 1. Health problem and current use of technology 2. Description and technical characteristics 3. Safety 4. Clinical effectiveness 5. Costs and economic evaluation 6. Ethical analysis R A P I D F U L L 7. Organisational aspects 8. Social aspects 9. Legal aspects www.eunethta.eu - EUnetHTA - Joint Action 2010-2012 102 THANKS FOR YOUR ATTENTION 103