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This article is written by Hema Balasubramanian and Mamta Puri-Lechner.
In the rapidly evolving landscape of medical innovation, securing a U.S. Food and Drug Administration (FDA) special designation marks a pivotal achievement for any life science company. These designations are tailored to facilitate and expedite the development and review of drugs that address unmet medical needs in the treatment of serious or life-threatening conditions. These conditions are critical for companies at the cusp of breakthroughs, especially when they have promising clinical data, are at a development inflection point, or have recently secured funding to scale their operations and move with speed. Orphan Drug Designation (ODD) is an example of one such special designation offered by the FDA and other health authorities across the world.
But at what point should a clinical trial sponsor apply for orphan disease designation? We field this question often from clients and industry colleagues. If you’re in the early phases of developing a drug product with strong nonclinical proof of concept or mechanism of action data in in vitro cell lines or in vivo data in an appropriate animal model or with preliminary but promising readout from an early phase clinical trial and believe your candidate will improve an orphan disease, you likely have the same question.
In other scenarios, perhaps you’ve just finished your phase one clinical trial in all comers (in oncology patients, for example) and you have collected some biomarker data indicative of the efficacy, in one of the rare tumor types, and are pausing to think about an orphan indication, but do not know how to apply, when to apply, and are unaware of the advantages and watch-outs for this pathway.
In this article, you (as a clinical trial sponsor) will learn strategic considerations for targeting an orphan drug designation and associated logistics to consider when choosing such a designation from the onset.
Applying for Orphan Designation – Strategic Considerations
To quote CFR 316.23, “A sponsor may request orphan drug designation at any time in its drug development process before the time that sponsor submits a marketing application for the drug for the same rare disease or condition."
However, there are several considerations that a sponsor should consider when planning to apply for organ drug designation. These include:
Calculate the prevalence of the disease or conditions
Suggestions for Expediting Clinical Development Once Orphan Drug Designation is Granted
Sponsors must be aware that based on the low prevalence or incidence of orphan disease, patient recruitment can take a long time, often years compared to more common diseases. There are few opportunities for sponsors during their early planning phase to ensure they can bring speed and efficiency to their orphan disease program, propelling timely availability to patients. These opportunities include:
Adopt a patient-centric approachExplore partnering with the right Clinical Research Organizations (CROs) and vendors
Is There a Downside to Applying for Orphan Drug Designation Early On?
When sponsors choose to apply early on for orphan designation, the worst outcome is a rejection of the application. This decision, however, is not public information. This rejection comes with feedback from the FDA regarding their application, including what they consider ‘missing’ from the application. Sponsors can then absorb FDA’s feedback, generate/collect the data requested, and then submit an amendment to their initial application.
Receiving a rejection on the initial application is not necessarily harmful for sponsors, considering there is no fee associated with the application, and the valuable feedback provided. The downside of a rejection occurs only if a sponsor has promised designation by a certain timeframe, or publicly communicated they are targeting orphan drug designation and are therefore accountable to external stakeholders.
Ultimately, the timing is up to the sponsor’s development strategy, timeline, and commitments to external stakeholders, including investors.
Halloran typically files on average seven orphan drug designation applications per year on behalf of our clients. Most of these applications are granted, and while some were not, this insight gives Halloran unique insight into current FDA expectations and trends.
To discuss your orphan drug designation application strategy, contact Halloran.