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AP Pharma gets US FDA complete response letter for its NDA for APF530

Redwood City, CaliforniaTuesday, March 23, 2010, 08:00 Hrs  [IST]

A P Pharma, Inc, a specialty pharmaceutical company, received a Complete Response Letter from the US Food and Drug Administration (FDA or Agency) regarding its New Drug Application (NDA) for APF530 in the prevention of both acute and delayed onset chemotherapy-induced nausea and vomiting (CINV). APF530 is a long-acting formulation of granisetron utilizing the company's proprietary Biochronomer drug delivery system. The primary points raised in the US FDA Complete Response Letter are discussed below: Dosing System the US FDA expressed concerns relating to A P Pharma's two-syringe administration system, including potential issues with the transfer of material from one syringe to the other syringe prior to patient administration, certain components used in the dosing system and the potential risk of improper administration of the drug product. The US FDA has completed inspections of A P Pharma and several of its contract manufacturing facilities. The Agency identified certain deficiencies during these inspections, and satisfactory resolution of these deficiencies will be required for approval. During the NDA review, the US FDA asked that the Company determine if terminal sterilization with gamma irradiation is a feasible approach to enhance the assurance of sterility. A P Pharma has subsequently demonstrated that terminal sterilization is feasible, and the US FDA has requested the Company change to terminal sterilization prior to approval. The US FDA requested clarification and revision of certain analytical specifications proposed in the company's NDA. The FDA did not request additional clinical efficacy studies, although the Agency has asked for the re-presentation and re-analysis of select existing phase-3 clinical trial data. The US FDA requested the Company perform two studies relating to bioavailability and metabolism. A P Pharma believes these studies should be of short duration in normal volunteers. The US FDA did not accept the Company's request to waive the requirement for a thorough QT study. A P Pharma believes this study should be of short duration in normal volunteers. The company plans to discuss the design and timing of the study with the US FDA. Some of the US FDA's points were addressed in recent NDA amendments by A P Pharma that the Agency did not review prior to issuing the Complete Response Letter. The company believes that these amendments may address some of the issues raised in the Complete Response Letter. The US FDA has indicated that A P Pharma may incorporate applicable sections of these amendments by specific reference in its resubmission. The company will be contacting the US FDA to request an End-of-Review meeting to discuss the Complete Response Letter. A P Pharma is committed to expeditiously resolving the remaining issues required for US FDA approval; however, based on the anticipated time needed to prepare a resubmission, the Company does not anticipate the commercial launch of APF530 in 2010. A P Pharma's lead product candidate, APF530, is being developed for the prevention of both acute and delayed onset chemotherapy-induced nausea and vomiting (CINV). A P Pharma is a specialty pharmaceutical company developing products using its proprietary Biochronomer polymer-based drug delivery technology.

 
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