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www.ukgtn.nhs.uk RESPONSE TO THE PUBLIC CONSULTATION OF THE REVISION OF DIRECTIVE 98/79/EC OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL OF 27 OCTOBER 1998 ON IN VITRO DIAGNOSTIC MEDICAL DEVICES Submission by: UKGTN Scientific Advisor (author): Project Team: Programme Director Clinical Advisor: Scientific Advisor: Molecular Scientific Advisor: Cytogenetics Public Health Advisor Communications Specialist Service Development Manager Business & Corporate Support Officer Contact: UK Genetic Testing Network (UKGTN) Project Team Su Stenhouse Jacquie Westwood Dr Shehla Mohammed (Consultant Geneticist and Head of Service Guys & St Thomas’ Hospital) Su Stenhouse (Head of Laboratory, South West Scotland Regional Genetics Centre, Glasgow) Val Davison (Head of Laboratory, Birmingham Regional Genetics Centre) Dr Mark Kroese (Consultant Public Health, Peterborough PCT) Dr Jacqui Hoyle Jane Deller Tarita Turtiainen UKGTN, c/o National Specialised Commissioning Group, NHS London, 2nd Floor Southside, 105 Victoria Street, London, SW1E 6QT Tel: 020 7932 3969, email: [email protected] The United Kingdom Genetic Testing Network: Background The UKGTN Steering Group was established in 2002 and is part of the National Specialised Commissioning Team in NHS London. It is a collaborative group of NHS laboratory scientists, clinical geneticists, genetics commissioners and patient representatives and the Steering Group is Chaired by Professor Peter Farndon. It aims to promote the provision of high quality equitable genetic testing services for NHS patients across the UK. This involves evaluating new tests and recommending to specialised services commissioners (procurers of genetic services for patients in the NHS) those appropriate for service. There are 50 member laboratories from regional genetics and other specialist laboratories. Membership is conditional on the laboratory meeting the required quality criteria (e.g. CPA) and participating in External Quality Assurance schemes. A small project team and four working groups carry out the work on behalf of the Steering Group. The working group members are nominated representatives from healthcare professionals and patient representatives from across the UK. The UKGTN has an internationally recognised process (commonly referred to as the “Gene Dossier process”) to evaluate new genetic tests (within its scope) being proposed for NHS service nationally from its member laboratories. Tests that pass the UKGTN evaluation process are recommended to commissioners for funding. A Directory1 is produced annually listing all the tests that have been through this process and the associated testing criteria to promote appropriate referrals. Currently there are 487 diseases on Directory which equates to 659 tests (i.e. disease/gene pairs). The Genetic Alliance UK (formerly the Genetic Interest Group) reports that patients have recognised the increased availability of genetic tests because of the UKGTN system. Different approaches are used internationally2, but the UK is seen as a world leader. 1. 2. The Directory of genetic tests that have been evaluated and are available from UKGTN member laboratories is available from the UKGTN website at www.ukgtn.nhs.uk The evaluation of clinical validity and clinical utility of genetic tests (September 2007), authors Dr Mark Kroese, UKGTN Public Health advisor; Dr Rob Elles, Director NGRL Manchester; Dr Ron Zimmern, Executive Director PHG Foundation. www.ukgtn.nhs.uk This response is particularly targeted at section 3 of the consultation document. Question 7. We believe that it is absolutely essential to maintain the ‘in-house’ exemption for a variety of reasons: 1) Rare Disease Testing. Rare diseases may be defined as conditions affecting fewer than 5 in 10,000 people and clearly testing for these is performed infrequently and usually only available from specialist centres. CE marking of every test offered in these centres is impractical both scientifically and economically. The quality of such testing must be of a high standard but requiring CE marking would result in the loss of currently available tests for rare diseases due to the burden of regulation. 2) Rare tests for common disorders. Some inherited disorders such as familial breast cancer are quite common but the causative mutations are individually very rare and may be found in only one family. This means that each test has to be individually tailored to that familial mutation. Furthermore such testing is often required within a very narrow time frame following the diagnosis of breast cancer to inform and optimise treatment and management options and CE marking of each rare test would not be possible. Similarly, prenatal tests often involve testing for a ‘private’ family mutation and the test may have to be developed very quickly to provide appropriate information to the parents. This could not be accomplished if CE marking of the test were to be required. 3) Seldom used tests for common analytes. Very few genetic disorders have CE marked kits available. However even for those which do have an available kit, follow on tests are often required. For example CF has a variety of CE marked testing kits but none of these can provide testing for every possible mutation in the CFTR gene. In order to produce a full result further bespoke testing has to be performed in a substantial minority of patients using in-house methods. The existing exemption ensures such testing is available. 4) Population specific tests. Where CE marked kits are available they may not be appropriate for every population. The newest CF kit comes in a US and European format but even so, sub-populations and more isolated countries are unlikely to be well served by such a generic kit and must rely on in-house customised assays to ensure the detection of ‘local’ mutations. 5) Rapid response to new health threats. In recent years there have been a number of health threats such as H5N1 or SARS which have required a rapid response in the development of tests for diagnosis, monitoring and vaccine development. The urgent nature of these tests means that CE marking would introduce an unacceptable delay in implementation which could exacerbate the situation. 6) Safety benefits of alternative testing methods. Whilst harmonisation of testing standards and comparability of results is essential there are also benefits to be gained from a variety of testing methods. Undue reliance on a single method can mask systematic deficiencies in that method. A variety of validated in-house methods used within a network of laboratories ensures that any systematic weaknesses are picked up and can be rectified. An example of this is a group of laboratories using the same PCR primers for a breast cancer test all of which missed a mutation in a quality assessment exercise due to a deficiency in one of the primers. Had no other assay been in use this would not have been identified. 7) Cytogenetic and other whole genome testing. Conventional chromosome analysis involves the culturing of cells from the patient and the examination of fixed metaphase spreads using either a microscope or more commonly digital analysers. These sophisticated image analysis systems are not specifically CE marked and it would be impossible to do this as each is configured to a specific department’s requirements. Similarly any attempt to CE mark any of the culture systems would be impossible and not cost effective. www.ukgtn.nhs.uk In the UK over 35,000 cytogenetic investigations are carried out in patients referred for prenatal diagnosis using samples from the fetus at either 12 weeks gestation (chorionic villus samples), or 16 weeks (amniotic fluid samples). These patients are referred for a variety of reasons but all with a high risk of a genetic disorder. Timing of the results is hugely important and each individual biological system may need a slight variation to maximise the growth of cells. If CE marking were required for such tests the service would not be viable. 8)Array Comparative Genome Hybridisation and next generation sequencing These technologies are increasingly replacing some of the functions of karyotyping and broaden the range of analysis which is possible but karyotyping will still play a role for many patients. All of these new techniques will also share with karyotyping the possibility of producing results unrelated to the clinical question and requiring expert interpretation in the context of the patient’s phenotype. Such testing is not amenable to CE marking and is best delivered by a specialist laboratory accredited to perform and interpret the results of such complex testing in conjunction with specialist clinical advice. In the UK in 2008-09 postnatal testing was provided for over 400 disorders. Over 300 of these (74%) had a test volume of fewer than 100. Only 16 (4%) had a test volume of greater than 1000. The chance of any commercial provider supplying CE marked kits for such low volumes is slim. There is therefore little evidence in the UK to support the claim of unfair competition between CE marked devices and ‘in-house’ tests. In conclusion, the use of validated in-house tests devised by accredited diagnostic laboratories need not pose an increased risk to patients and abolition of the exemption would certainly result in the loss of many tests for rare disorders which are currently available. Question 8. Item 1: Better definitions are required. For ‘in-house test’ there should be a requirement for any laboratory developing such tests to be accredited to ISO 15189/CPA or equivalent and to provide evidence of validation of the test. There is a risk of narrowing the definitions too much so that no existing institution fulfils the criteria. Item 2: No. Requiring ‘in-house’ tests to fulfil the essential criteria even without formal CE marking would still place an unacceptable burden on laboratories. Item 3: No. Many of the most important testing for patients with rare diseases such as pre-symptomatic testing might be construed as high risk. If they were to be excluded from the exemption they would cease to be provided which would have adverse effects on families with these conditions. Item 4: Yes. The restriction of the ‘in-house’ exemption to laboratories which are accredited to ISO 15189 or equivalent would provide an important safeguard for patients who rely on these tests. Given that in general these are very rare disorders, this proposal provides a proportionate response which balances the risks and benefits. It should be noted that the ISO definition of accreditation should be used and should not be confused with certification or licensing, neither of which provide the same assurance of quality and competence. www.ukgtn.nhs.uk Question 9. No. Patients with rare diseases deserve the same quality of diagnostic testing as those with more common conditions. To remove the ‘in-house’ exemption except for rare diseases would discriminate against those suffering from those conditions. This is in direct contradiction of the EC initiative on improved services for rare diseases. In addition, such an exemption would allow the marketing of test kits for rare diseases with no regulatory oversight to ensure their quality, suitability or effectiveness. These kits could be used in laboratories not expert in their use or interpretation of the results putting families with rare diseases at risk. Retention of the ‘in-house’ exemption with the safeguard of its use only in accredited laboratories provides security, assurance of a high quality test and equity of access for those with rare disorders. In addition, the rarity of a disorder depends to some extent on the population and a rare disease in one country may be relatively common in another. The removal of the ‘in-house’ exemption would not just affect the availability of rare disease tests but also other types of specialized test where no CE marked test is available and this would do nothing to preserve those tests for patients. Question 10. Yes, this would be useful clarity. Item1: Not all genetic tests require ‘results obtained by analysis of the genome’ as some will use RNA analysis or protein tests and that wording would be likely to cause confusion as to which tests are included. There are also occasions when paternity testing or DNA comparison is employed for medical reasons. Item 2: This is preferable to item 1 but may require clarification of ‘direct’ and indirect’ medical purposes. In conclusion, the ‘in-house’ exemption is required to maintain the safety provided by alternatives in test methodology and to ensure the continued availability of tests that are not suitable for CE marking. These will include: Rare disease testing Customised tests for common disorders Cytogenetic and other whole genome analysis Seldom used tests for common analytes Rapid response to changing health threats Population specific tests and test panels