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1.
Ethics Hum Res ; 42(1): 2-13, 2020 Jan.
Article in English | MEDLINE | ID: mdl-31967412

ABSTRACT

For decades, the U.S. Food and Drug Administration (FDA) has provided an "expanded access" pathway that allows patients who meet qualifying conditions to gain access outside a clinical trial to an investigational medical product being tested to see if it is safe and effective for a specific use. The Right to Try (RTT) Act, enacted in 2018, created a second mechanism for off-trial, or non-trial, access to investigational drugs. In contrast to the expanded access pathway, the federal RTT pathway does not require the involvement of the FDA or an institutional review board (IRB). Given that physicians, drug manufacturers, and medical institutions now have a choice whether to assist individual patients through the expanded access or the federal RTT pathway, we review the differences between these options and discuss the benefits and burdens of IRB involvement in requests to access interventions through the pathways. We also suggest ways in which IRB oversight may be further improved.


Subject(s)
Compassionate Use Trials , Drugs, Investigational , Research , Humans , United States , United States Food and Drug Administration/legislation & jurisprudence
2.
J Med Ethics ; 44(11): 761-767, 2018 11.
Article in English | MEDLINE | ID: mdl-29982174

ABSTRACT

Patients have received experimental pharmaceuticals outside of clinical trials for decades. There are no industry-wide best practices, and many companies that have granted compassionate use, or 'preapproval', access to their investigational products have done so without fanfare and without divulging the process or grounds on which decisions were made. The number of compassionate use requests has increased over time. Driving the demand are new treatments for serious unmet medical needs; patient advocacy groups pressing for access to emerging treatments; internet platforms enabling broad awareness of compelling cases or novel drugs and a lack of trust among some that the pharmaceutical industry and/or the FDA have patients' best interests in mind. High-profile cases in the media have highlighted the gap between patient expectations for compassionate use and company utilisation of fair processes to adjudicate requests. With many pharmaceutical manufacturers, patient groups, healthcare providers and policy analysts unhappy with the inequities of the status quo, fairer and more ethical management of compassionate use requests was needed. This paper reports on a novel collaboration between a pharmaceutical company and an academic medical ethics department that led to the formation of the Compassionate Use Advisory Committee (CompAC). Comprising medical experts, bioethicists and patient representatives, CompAC established an ethical framework for the allocation of a scarce investigational oncology agent to single patients requesting non-trial access. This is the first account of how the committee was formed and how it built an ethical framework and put it into practice.


Subject(s)
Clinical Decision-Making/ethics , Compassionate Use Trials/ethics , Drug Industry/ethics , Drugs, Investigational/therapeutic use , Interprofessional Relations , Academic Medical Centers , Antibodies, Monoclonal/therapeutic use , Antineoplastic Agents/therapeutic use , Clinical Trials as Topic/ethics , Drug Industry/organization & administration , Drugs, Investigational/supply & distribution , Ethics Committees, Research/organization & administration , Ethics, Medical , Ethics, Pharmacy , Humans , Multiple Myeloma/drug therapy , Pilot Projects
3.
Fertil Steril ; 80(5): 1077-85, 2003 Nov.
Article in English | MEDLINE | ID: mdl-14607552

ABSTRACT

We report on the deliberations of an interdisciplinary group of experts in science, law, and philosophy who convened to discuss novel ethical and policy challenges in stem cell research. In this report we discuss the ethical and policy implications of safety concerns in the transition from basic laboratory research to clinical applications of cell-based therapies derived from stem cells. Although many features of this transition from lab to clinic are common to other therapies, three aspects of stem cell biology pose unique challenges. First, tension regarding the use of human embryos may complicate the scientific development of safe and effective cell lines. Second, because human stem cells were not developed in the laboratory until 1998, few safety questions relating to human applications have been addressed in animal research. Third, preclinical and clinical testing of biologic agents, particularly those as inherently complex as mammalian cells, present formidable challenges, such as the need to develop suitable standardized assays and the difficulty of selecting appropriate patient populations for early phase trials. We recommend that scientists, policy makers, and the public discuss these issues responsibly, and further, that a national advisory committee to oversee human trials of cell therapies be established.


Subject(s)
Biomedical Research/ethics , Stem Cells , Animals , Cell Line , Clinical Trials as Topic , Drug Evaluation, Preclinical , Genetic Predisposition to Disease , Humans , Infection Control , Quality Control
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