Abstract

Biotherapeutic products which are derived from living organisms using recombinant DNA technology significantly contribute to the progress in the treatment of life-threatening and chronic diseases. The worldwide sale of biological drugs in 2016 was near US $263,700 million. In Latin America, where monoclonal antibodies market was worth US $7000 million, being Mexico the second largest market. Approval is one of the key aspects which influences the market of medicinal products, thus it is responsibility of the regulatory authority to establish a regulatory framework that ensure safety and efficacy of the products, and it is responsibility of the applicants to provide a high quality dossier in accordance with the registration requirements of the country. The applicants submitting registration requests in Mexico need to be aware of the requirements. Similar to many other countries, Mexico has adopted the Common Technical Document (CTD) structure for organizing dossier of the medicinal product for submission into main modules (i.e., quality, non-clinical, and clinical). This facilitates the submission process of medicinal products following a logical sequence aligned to the International Council on Harmonisation (ICH) guidelines. Moreover, this structure improves the transparency and clarity of the dossier in process of evaluation of medicinal products. In Mexico, the Ministry of Health has published a regulation, NOM-257-SSA1-2014, which established the general requirements to be followed by applicants to complete the registration of biotherapeutics. This regulation stipulates that the evaluation process is supported by a regulatory framework involving Good Manufacturing Practices, labeling, stability, clinical trials, biocomparability studies, pharmacovigilance, and a technical evaluation performed by a multidisciplinary team of experts in biotherapeutics development. Additionally, the Mexican regulatory agency, COFEPRIS, has published specific guidelines to facilitate the application process. Despite the availability of this information, the scope is limited to regulatory and administrative purposes, rather than technical-scientific supporting knowledge. The aim of this article is to provide concise information to improve and promote communication between industry and regulatory agencies. Herein, we describe the current process of COFEPRIS in regulating biotherapeutics in Mexico. This process explains the basis for the organization and structure of the technical-scientific information of biotherapeutics required for registration application.

Highlights

  • Biotherapeutics are obtained from living organisms by recombinant DNA technology, and they have contributed to the successful advancement of the treatment of many lifethreatening and chronic diseases [1]

  • We describe the pathway in Mexico for organizing and submitting the relevant documents for quality, non-clinical, and clinical information of biotherapeutics, and a strategy for new drug registration knowing the requirements of the Mexican regulatory framework and the criteria driving the decision making of the competent COFEPRIS evaluation committees

  • The acceptance criteria of the process validation protocol should be based on the quality target product profiles (QTPPs) intervals of the Critical Quality Attributes (CQAs) to demonstrate the consistency of manufacturing with at least three batches documented in the corresponding validation report [24, 29,30,31]

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Summary

INTRODUCTION

Biotherapeutics are obtained from living organisms by recombinant DNA technology, and they have contributed to the successful advancement of the treatment of many lifethreatening and chronic diseases [1]. This growing market is supported by specific regulatory frameworks, for instance the US market is supported by the Food and Drug Administration (FDA), which has established expedited programs for approval of drugs, especially biologics because of their applicability to unmet health needs [6] In this regard, several regulatory agencies worldwide have adopted a pathway for approval that includes the evaluation of biotherapeutic products at the following three levels: [1] quality (Good Manufacturing Practices [GMPs]), [2] non-clinical studies, and [3] clinical trials [7,8,9]. In the last four decades, the technological improvements allowed knowledge about the design, development, production, and non-clinical/clinical assessment of new therapies for the treatment of chronic-degenerative diseases based on target-specific engineered biotherapeutics This led to the establishment of the criteria to draft the laws, regulations, and pharmacopeias, including guidance documents for the evaluation of biotherapeutics. The acceptance criteria of the process validation protocol should be based on the quality target product profiles (QTPPs) intervals of the Critical Quality Attributes (CQAs) to demonstrate the consistency of manufacturing with at least three batches documented in the corresponding validation report [24, 29,30,31]

DS and DP characterization
CONCLUDING REMARKS
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