BACKGROUND AND AIMS
The relationship between regulatory approval of drugs and medical devices on the one hand and health technology assessment (HTA) and coverage on the other is receiving growing attention from those responsible for these functions and from industry, governments, and patients (Reference Breckenridge, Woods and Walley1). A range of factors has contributed to the increasing focus on this relationship, including (but not limited to) interests in: improving patient access to appropriate interventions; improving the efficiency of the development of new products; improving the evidence base for coverage decisions; and improving the transparency of those decisions and their rationale to the general public.
Interactions between regulatory, HTA, and coverage processes are at an early stage but may have important implications across and within health systems for patient care, innovation and system sustainability (Reference Eichler, Bloechl-Daum and Abadie3). These interactions were discussed by the Health Technology Assessment International (HTAi) Policy Forum at a meeting held from January 30, 2011 to February 1, 2011 in Windsor in the United Kingdom. The aim of this discussion was to identify goals, principles, challenges, and opportunities for improved interactions between regulatory, HTA, and coverage processes. This study summarizes the main points and suggestions arising from the discussions. While much of this study relates to drugs, many of its principles are considered to be relevant to other technologies, including medical devices, equipment, and diagnostics.
HTAi Policy Forum
HTAi is the international professional society for those doing and using HTA (8). HTAi runs the HTAi Policy Forum to provide an opportunity for leaders and management of public and private sector organizations to hold strategic discussions about issues of emerging international interest (10). The HTAi Policy Forum is comprised of fourteen for-profit organizational members from the drug, device and diagnostic industries, and fourteen not-for-profit organizational members representing HTA, coverage, insurance, and policy bodies. The HTAi Policy Forum meets to discuss topics selected by its members. Meetings observe the Chatham House Rule (2), and comprise a series of presentations, small group and roundtable discussions held over 2 days. This study presents the authors' view of the main points arising from the meeting and the areas of common thinking among participants. It has been informed by comments on drafts from those present, but it is not a consensus statement by Forum participants or their organizations. Supplementary Table 1, which can be viewed online at www.journals.cambridge.org/thc2011017, lists attendees of the Windsor meeting.
DEFINITIONS
This study uses the following definitions:
• Regulatory approval refers to processes for determining market authorization for a health technology in a given jurisdiction
• Coverage refers to processes for determining which interventions will be provided, paid for or reimbursed in a health system. The nature of these processes varies across jurisdictions.
• Health technology assessment (HTA) aims to collect and analyze the information relevant to health decision makers using scientifically sound and transparent methods; a fuller definition of HTA can be found in the HTA Glossary (9). Those responsible for making coverage decisions are increasingly seeking input from HTA, but the relationship between HTA and coverage varies across jurisdictions.
In considering regulatory approval, HTA, and coverage, it is important to distinguish between the efficacy, effectiveness, relative efficacy, and relative effectiveness of a product or health intervention. This study uses definitions developed by the European Union High Level Pharmaceutical Forum (6):
• Efficacy is the extent to which an intervention does more good than harm under ideal circumstances.
• Relative efficacy is the extent to which an intervention does more good than harm, under ideal circumstances, compared with one or more alternative interventions.
• Effectiveness is the extent to which an intervention does more good than harm when provided under the usual circumstances of healthcare practice.
• Relative effectiveness is the extent to which an intervention does more good than harm compared with one or more intervention alternatives for achieving the desired results when provided under the usual circumstances of healthcare practice.
Relative effectiveness defined as above is broadly similar to the term comparative effectiveness being used extensively in the USA.
Regulatory Approval, Coverage, and HTA
Status and Roles of Different Bodies. Key differences between regulatory approval, HTA, and coverage decisions must be recognized in considering how to improve their interactions. Table 1 summarizes the key features of each, drawing on the study by Eichler et al. (Reference Eichler, Bloechl-Daum and Abadie3). Although these descriptions refer primarily to drugs, many of the principles also apply to devices. (See below for a discussion of differences between drugs, diagnostics, devices, and equipment.)
Pharmaceuticals, Diagnostics, Medical Devices, and Equipment. Arrangements for regulatory approval, HTA, and coverage differ for drugs, diagnostics, medical devices, and equipment.
Virtually all countries have legislation and regulatory bodies for pharmaceuticals. Most also have arrangements for diagnostics, medical devices, and equipment, although there is considerable variation between different classes of product and in how these are handled between countries, including variations in processes for the assessment and approval of diagnostic/drug combinations (as in “personalized medicines”) or for hybrid technologies (e.g., implantable drug delivery systems).
The regulatory process for diagnostics, medical devices, and medical equipment typically focuses on product safety and function (e.g., reliably detecting specified biomarkers in the case of a diagnostic). The extent to which regulators require evidence of clinical benefit for patients typically depends on the level of risk to which patients are exposed, and for many products, trials to establish efficacy or clinical benefit are not required by regulators or undertaken by manufacturers.
International Coordination. Coordination between pharmaceutical regulators is well established internationally through the International Committee for Harmonisation (12) and in the European Union (EU) through either centralized review by the European Medicines Agency (EMA) or decentralized review led by an individual member state (4). There is substantial similarity in the information that regulatory bodies require from manufacturers. International coordination of the regulatory approval of diagnostics, medical devices, and medical equipment is less well developed, although discussions are currently in progress internationally (7) and within the EU (5).
There is no formal coordination among coverage bodies internationally. Some coverage and many HTA bodies participate in international platforms to discuss the development and use of HTA and other forms of analysis. The two primary such platforms are HTAi (8) and the International Society for Pharmacoeconomics and Outcomes Research (ISPOR) (14). Public sector HTA agencies also collaborate through the International Network of Agencies for HTA (INAHTA) (13), and (for government HTA bodies primarily in Europe) the EUnetHTA Joint Action project. These and earlier initiatives have worked to improve the coordination of evidence requirements and of assessments among HTA agencies. However, healthcare, financial, social, and political contexts vary significantly between jurisdictions, and the information requirements and decision criteria of HTA and coverage bodies around the world differ significantly (Reference Hutton, Trueman and Facey11).
RESULTS
Interactions Among HTA, Coverage, and Regulatory Bodies: Current Position
Drivers of Interest. Discussion at the Policy Forum identified several factors leading to increased interest in the relationship among regulatory, HTA, and coverage systems and decisions. This relationship has come under increasing scrutiny in recent years as a result of several factors, including:
• Increasing public and policy-maker awareness that some products approved by regulators may not be recommended by HTA bodies or approved by coverage bodies.
• Increasing use of HTA by coverage bodies, and increasing demands by HTA bodies for evidence beyond that required for regulatory approval, particularly evidence relating to the strength and relevance of clinical benefits.
• Increasing interest among regulators, HTA, and coverage bodies in post-marketing data collection, analysis, and review.
• Increasing interest in provisional or progressive decisions (i.e., cases in which decisions about coverage and/or product indications may be revised or expanded as additional evidence is generated throughout the product life cycle) in both the regulatory and coverage functions (15).
• An increasingly shared view that improved communication—and where appropriate coordination—between regulators, HTA, and coverage bodies and manufacturers could improve the efficiency of review processes and lower the overall burden of evidence requirements over the product life cycle, and thus enable faster patient access to useful products.
Interest in these issues has arisen primarily in the context of the regulatory approval and coverage of drugs, but many of the factors involved are relevant also to diagnostics, devices, and medical equipment.
Other Stakeholder Perspectives. Discussion at the Policy Forum also identified the need for interactions among regulatory, HTA, and coverage bodies to recognize the perspectives of other stakeholders:
• Patients – want the development of new treatments and rapid access to products that offer benefits they value at acceptable risk; want easy access to information about what is and is not available for their condition and why.
• Clinicians – want information on the real-world effectiveness and risks of products and freedom to offer patients what they believe is best for them.
• Governments – wish to ensure that their populations are protected from harmful products and have access to products that address important health needs; wish to ensure that healthcare systems meet health needs of the population and (in some contexts) offer value for money; those with healthcare industry R&D and/or manufacturing based in their country also wish to promote the success of those sectors.
• The general public (whether or not patients) – expects rapid access to improved new products while being protected from harm; tends to look for certainty and expects official bodies and healthcare systems to provide it and to be accountable, transparent, consistent, and efficient.
• Industry – seeks to develop and market safe, effective, and profitable products; needs to generate evidence to support regulatory and coverage approval and therefore has an interest in ensuring clarity and predictability in those evidence requirements over the product life cycle, and convergence where that is possible, to allow requirements to be met as efficiently as possible; recognizes that without progress in at least some of these areas, new product development will be increasingly difficult and costly.
Current Initiatives to Improve Interactions. The Policy Forum received reports of various activities around the world aimed at improving interactions across regulatory, HTA and coverage processes. Regulatory, HTA, and/or coverage bodies are now working together internationally and in specific jurisdictions, in some cases simply to share information on procedures, requirements and plans, in others to align time frames and other logistical aspects of their review processes, and in others to align procedures for offering scientific advice to manufacturers. Whereas approaches and results vary considerably between initiatives, it appears that significant progress can be made in building understanding and trust and adapting processes, sometimes in highly challenging areas, if there is sufficient effort and high-level support and clarity about goals.
Improving Interactions: Goals and Challenges
Overall Goals, Principles, and Challenges. The following were identified at the Forum meeting as important overall goals of improved interactions among regulatory, HTA, and coverage bodies:
• To speed patient access to valuable products.
• To remove unnecessary barriers to successful development and appropriate market access for innovative products.
• To give manufacturers greater clarity about what evidence is required by which bodies and when.
• To improve alignment of the timing and logistics of processes where appropriate.
• To align methodological guidance and data requirements for establishing safety, efficacy, effectiveness, and relative efficacy and effectiveness in so far as necessary and possible, and to be clear why requirements differ when they do.
• To give patients and the public better understanding of the reasons for decisions by regulators and coverage bodies, especially where these differ.
Discussions also identified some important principles to underpin actions taken to achieve these goals:
• Regulatory, HTA, and coverage bodies should work together where possible and appropriate to maximize benefits for patients and the public.
• Patients, industry, and clinicians need to be actively engaged in discussions about regulatory, HTA and coverage processes; the wider public perspective also needs to be considered.
• All parties and stakeholders need to be clear and open with one another about their remits, goals, and interests.
• All parties need to accept that, while improvements in coordination should be actively sought, the missions of regulators and coverage bodies are different and some of their evidence requirements differ accordingly, and there are legitimate occasions (e.g., based on statute) when a product granted regulatory approval will not be covered in a particular healthcare system for some or all of its licensed indications.
The following emerged as potential challenges to be overcome:
• Lack of trust and understanding: There is insufficient understanding within regulatory, HTA, and coverage bodies and industry of respective purposes, remits, and processes, and a lack of understanding of these by other stakeholders. This may lead to unrealistic expectations about the extent of coordination and agreement that can be achieved.
• Organizational goals and culture: The goals and priorities of regulatory, HTA, and coverage bodies are different and they have different traditions, ways of working, and relations with stakeholders.
• Stakeholder involvement: There is a need to involve clinicians and patients in discussions about the relationship between regulatory, HTA, and coverage processes.
• Information concerns: There is concern in HTA and coverage bodies that industry may not disclose to them all relevant information about a product, while industry has concerns about the security of proprietary information if shared with HTA and coverage bodies. Legal constraints may limit information sharing between regulatory and other bodies.
Specific Goals and Challenges Throughout the Product Life Cycle. In addition to these general considerations, discussion also identified goals and challenges relevant to specific stages of the product life cycle, notably R&D investment decisions, design of pre-market evaluations, initial regulatory, HTA and coverage reviews, and post-market data collection and analysis. Table 2 summarizes the different goals and challenges identified at these life cycle stages. Much of the material in this and subsequent sections relates primarily to pharmaceuticals. The Forum meeting included discussion of devices and diagnostics, and saw the greatest opportunity for improved interactions between regulatory and HTA and coverage bodies following market approval for those types of products.
Opportunities for Progress Toward These Goals
Discussions at the Forum meeting suggested several activities to address challenges and make progress toward the goals proposed.
Continue Dialogue to Promote Understanding and Interaction.
• Build on initial national and international meetings between senior staff in regulatory and HTA and coverage bodies to promote understanding of, and trust in, each other's remits, methods, and processes.
• Build on wider initial national and international discussions between regulators, coverage bodies, HTA experts, and industry to explore improved interactions between all parties; and increase the involvement of patients, clinicians, and the public in these discussions.
Align Scientific Advice on Design of Pre- and Post-market Evaluations (Particularly Phase 2, 3, and 4 Studies for Pharmaceuticals).
• Build on current work to develop joint scientific advice from regulators and HTA and/or coverage bodies for manufacturers on the design of pre-market evaluations (phase 2 and 3 studies) for specific products, expanding to more products, more jurisdictions and to phase 4 study design.
• Develop joint scientific advice from regulators and HTA and/or coverage bodies for industry on the design of pre- and post-market evaluations (phase 2, 3, and 4 studies) for specific conditions, including such matters as appropriate comparators, outcome measures, study populations, and subgroups. These might be initiated in a particular region of the world, with the ultimate aim of developing internationally recognized guidance (allowing for the regional variations on specific issues such as preferred comparators) if possible.
• In parallel with the condition-specific advice above, develop joint scientific advice from regulators and HTA and/or coverage bodies for the general design of pre- and post-marketing evaluations (phase 2, 3, and 4 studies) so as to maximize the value of such studies to regulators, coverage bodies, clinicians and patients, covering such issues as:
■ inclusion criteria
■ subgroups
■ patient cross-overs in trials
■ general principles underlying choice of comparator
■ primary and secondary endpoints, surrogate and patient/clinically relevant outcome measures, quality of life measures
■ relating trial populations to wider populations (e.g., to enhance power of phase 4 population studies)
• Industry, patients, and clinicians need to be actively involved in all of these developments
Extend Dialog Better to Address Unmet Need.
• Initiate discussions between manufacturers, public health and health system leaders, and regulatory and coverage bodies on unmet public health and health system needs and the development, assessment, and coverage of products to address them.
CONCLUSIONS
There is growing willingness to pursue dialogue on interactions. Resources in regulatory, HTA, and coverage bodies and in industry are limited, so effort must be well directed and focused on the areas of most importance. Discussions at the HTAi Policy Forum meeting have identified possible goals, opportunities, principles, and challenges for improved interactions. They have also identified national and international activities that could build on progress to date and help to address some of the challenges identified. Those working in and with the bodies concerned now have considerable opportunity to pursue these actions for the greater benefit of patients and society.
CONTACT INFORMATION
Chris Henshall, MA, PhD ([email protected]), Honorary Fellow, Centre for Health Economics, University of York, Heslington, York YO10 5DD, UK; Chair, HTAi Policy Forum, c/o HTAi Secretariat, Institute of Health Economics, 1200, 10405 Jasper Avenue, Edmonton, Alberta, Canada T5J 3N4
Logan Mardhani-Bayne, BA (Hons) ([email protected]), Managing Director, Health Technology Assessment International Secretariat, 1200, 10405 Jasper Avenue, Edmonton, Alberta, Canada, T5J 3N4
Katrine B. Frønsdal, MSc, PhD ([email protected]), Senior Researcher, Specialist Health Care Unit, Department of Evidence Based Practice, Norwegian Knowledge Center for the Health Services (NOKC), P.O. Box 7004 St. Olavsplass, N-0130, Oslo, Norway
Marianne Klemp, MD, PhD ([email protected]), Associate Professor, Department of Pharmacology, University of Oslo, 0316 Blindern, Oslo, Norway; Research Director, Department of Evidence Based Practice, Norwegian Knowledge Center for the Health Services, P.O. Box 7004 St. Olavsplass, N-0130, Oslo, Norway
CONFLICT OF INTEREST
Chris Henshall has received support for travel from HTAi for this work; he also has received consultancy fees from several medical companies for chairing Advisory Boards on specific technologies. Logan Mardhani-Bayne's institution has received support from HTAi for his travel to meetings in his role as Managing Director of the HTAi Secretariat, and grants from several medical companies to support HTA meetings. Katrine Frønsdal and Marianne Klemp report having received consulting fees from the HTAi Policy Forum for their institution (NOKC), which houses the scientific secretariat for the HTAi Policy Forum.