利用政策促进包容性医疗产品证据:制定参考标准并对临床试验多样性政策进行结构化审计

Jennifer Miller, William Pelletiers, Sakinah C. Suttiratana, Michael Ofosu Mensah, Jason Schwartz, Reshma Ramachandran, Cary Gross, Joseph S. Ross
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引用次数: 1

摘要

从 2021 年市值排名前 500 位的制药公司中选出 50 家公司(从其余 475 家公司中随机选出 25 家最大的公司和 25 家非大型公司),数据来自制药公司网站和年度报告。美国药品研究与制造商协会、国际制药商和协会联合会、生物技术行业组织、国际医学期刊编辑委员会、美国食品和药物管理局、欧洲药品管理局和世界卫生组织提供的政策指导,截至 2023 年 5 月 15 日。审查美国食品与药物管理局和利益相关者指南后,确定了 14 个不同的主题,建议用于提高临床试验的多样性,并将其纳入参考标准:(1)反映目标人群患病率的入组目标,(2)广泛的试验资格标准,(3)劳动力的多样性,(4)识别并消除试验招募和保留的障碍,(5)将患者的意见纳入试验设计,(6)健康知识,(7)多样性的多维方法、(10)在开展试验的每个国家进行多元化招募,(11)多元化招募应成为临床试验所有阶段的重点,而不仅仅是后期或关键试验,(12)多样化的试验设计,(13)扩大试验的可及性,以及(14)公开报告试验参与者的个人特征。根据这一参考标准,48%(24/50)的公司没有制定关于临床试验多样性的公共政策;在制定了政策的公司中,内容差异很大。大公司比非大公司更有可能制定公共政策(21/25,84%v5/25,20%,P<0.001)。大公司最常承诺使用基于流行病学的试验招募目标,该目标代表了所指疾病在不同人群中的流行程度(15 家,71%),解决试验招募障碍(15 家,71%),提高患者对试验机会的认识(14 家,67%)。公司所在地与公共多样性政策无关(P=0.17)。研究结果表明,许多制药公司都没有关于临床试验多样性的公共政策,尽管大型公司比非大型公司更常见。公开发布的政策差别很大,而且缺乏利益相关者指南所建议的重要承诺。研究结果表明,可以更好地利用企业政策来促进研究中的代表性和公平包容,并落实美国食品及药物管理局和利益相关者的指导意见。
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Harnessing policy to promote inclusive medical product evidence: development of a reference standard and structured audit of clinical trial diversity policies
To develop a reference standard based on US Food and Drug Administration and stakeholder guidance for pharmaceutical companies' policies on diversity in clinical trials and to assess these policies.Development of a reference standard and structured audit for clinical trial diversity policies.50 pharmaceutical companies selected from the top 500 by their market capitalizations in 2021 (the 25 largest companies and 25 non-large companies, randomly selected from the remaining 475 companies).Data from pharmaceutical company websites and annual reports. Policy guidance from the Pharmaceutical Research and Manufacturers of America, International Federation of Pharmaceutical Manufacturers and Associations, Biotechnology Industry Organization, International Committee of Medical Journal Editors, the US Food and Drug Administration, European Medicines Agency, and World Health Organization, up to 15 May 2023.Multicomponent measure based on distinct themes derived from FDA and stakeholder guidance.Reviewing FDA and stakeholder guidance identified 14 distinct themes recommended for improving diversity in clinical trials, which were built into a reference standard: (1) enrollment targets that reflect the prevalence of targeted conditions in populations, (2) broad eligibility criteria for trials, (3) diversity in the workforce, (4) identification and remedy of barriers to trial recruitment and retention, (5) incorporation of patient input into trial design, (6) health literacy, (7) multidimensional approaches to diversity, (8) sites with diverse providers and patient populations, (9) data collection after product approval, (10) diverse enrollment in every country where trials are conducted, (11) diverse enrollment should be a focus for all phases of clinical trials, not just later stage or pivotal trials, (12) varied trial design, (13) expanded access, and (14) public reporting of the personal characteristics of participants in trials. Applying this reference standard, 48% (24/50) of companies had no public policy on diversity in clinical trials; among those with policies, content varied widely. Large companies were more likely to have a public policy than non-large companies (21/25, 84%v5/25, 20%, P<0.001). Large companies most frequently committed to using epidemiological based trial enrollment targets representing the prevalence of indicated conditions in various populations (n=15, 71%), dealing with barriers to trial recruitment (n=15, 71%), and improving patient awareness of trial opportunities (n=14, 67%). The location of the company was not associated with having a public diversity policy (P=0.17). The average company policy had five of the 14 commitments (36%, range 0-8) recommended in FDA and stakeholder guidance.The findings of the study showed that many pharmaceutical companies did not have public policies on diversity in clinical trials, although policies were more common in large than non-large companies. Policies that were publicly available varied widely and lacked important commitments recommended by stakeholder guidance. The results of the study suggest that corporate policies can be better leveraged to promote representation and fair inclusion in research, and implementation of FDA and stakeholder guidance.
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