Pharmacovigilance (PV or PhV), also known as drug safety, is the pharmacological science relating to the collection, detection, assessment, monitoring, and prevention of adverse effects with pharmaceutical products. The etymological roots for the word "pharmacovigilance" are: pharmakon (Greek for drug) and vigilare (Latin for to keep watch). As such, pharmacovigilance heavily focuses on adverse drug reactions,
or ADRs, which are defined as any response to a drug which is noxious
and unintended, including lack of efficacy (the condition that this
definition only applies with the doses normally used for the prophylaxis,
diagnosis or therapy of disease, or for the modification of
physiological disorder function was excluded with the latest amendment
of the applicable legislation). Medication errors
such as overdose, and misuse and abuse of a drug as well as drug
exposure during pregnancy and breastfeeding, are also of interest, even
without an adverse event, because they may result in an adverse drug
reaction.
Information received from patients and healthcare providers via
pharmacovigilance agreements (PVAs), as well as other sources such as
the medical literature,
plays a critical role in providing the data necessary for
pharmacovigilance to take place. In fact, in order to market or to test
a pharmaceutical product in most countries, adverse event data received
by the license holder (usually a pharmaceutical company) must be
submitted to the local drug regulatory authority.
Ultimately, pharmacovigilance is concerned with identifying the
hazards associated with pharmaceutical products and with minimizing the
risk of any harm that may come to patients. Companies must conduct a
comprehensive drug safety and pharmacovigilance audit to assess their
compliance with worldwide laws, regulations, and guidance.
Terms commonly used in drug safety
Pharmacovigilance has its own unique terminology that is important to
understand. Most of the following terms are used within this article
and are peculiar to drug safety, although some are used by other
disciplines within the pharmaceutical sciences as well.
- Adverse drug reaction is a side effect (non intended reaction to the drug) occurring with a drug where a positive (direct) causal relationship between the event and the drug is thought, or has been proven, to exist.
- Adverse event (AE) is a side effect occurring with a drug. By definition, the causal relationship between the AE and the drug is unknown.
- Benefits are commonly expressed as the proven therapeutic good of a product but should also include the patient's subjective assessment of its effects.
- Causal relationship is said to exist when a drug is thought to have caused or contributed to the occurrence of an adverse drug reaction.
- Clinical trial (or study) refers to an organised program to determine the safety and/or efficacy of a drug (or drugs) in patients. The design of a clinical trial will depend on the drug and the phase of its development.
- Control group is a group (or cohort) of individual patients that is used as a standard of comparison within a clinical trial. The control group may be taking a placebo (where no active drug is given) or where a different active drug is given as a comparator.
- Dechallenge and rechallenge refer to a drug being stopped and restarted in a patient, respectively. A positive dechallenge has occurred, for example, when an adverse event abates or resolves completely following the drug's discontinuation. A positive rechallenge has occurred when the adverse event re-occurs after the drug is restarted. Dechallenge and rechallenge play an important role in determining whether a causal relationship between an event and a drug exists.
- Effectiveness is the extent to which a drug works under real world circumstances, i.e., clinical practice.
- Efficacy is the extent to which a drug works under ideal circumstances, i.e., in clinical trials.
- Event refers to an adverse event (AE).
- Harm is the nature and extent of the actual damage that could be or has been caused.
- Implied causality refers to spontaneously reported AE cases where the causality is always presumed to be positive unless the reporter states otherwise.
- Individual Case Safety Report (ICSR) is an adverse event report for an individual patient.
- Life-threatening refers to an adverse event that places a patient at the immediate risk of death.
- Phase refers to the four phases of clinical research and development: I – small safety trials early on in a drug's development; II – medium-sized trials for both safety and efficacy; III – large trials, which includes key (or so-called "pivotal") trials; IV – large, post-marketing trials, typically for safety reasons. There are also intermediate phases designated by an "a" or "b", e.g. Phase IIb.
- Risk is the probability of harm being caused, usually expressed as a percent or ratio of the treated population.
- Risk factor is an attribute of a patient that may predispose, or increase the risk, of that patient developing an event that may or may not be drug-related. For instance, obesity is considered a risk factor for a number of different diseases and, potentially, ADRs. Others would be high blood pressure, diabetes, possessing a specific mutated gene, for example, mutations in the BRCA1 and BRCA2 genes increase propensity to develop breast cancer.
- Signal is a new safety finding within safety data that requires further investigation. There are three categories of signals: confirmed signals where the data indicate that there is a causal relationship between the drug and the AE; refuted (or false) signals where after investigation the data indicate that no causal relationship exists; and unconfirmed signals which require further investigation (more data) such as the conducting of a post-marketing trial to study the issue.
- Temporal relationship is said to exist when an adverse event occurs when a patient is taking a given drug. Although a temporal relationship is absolutely necessary in order to establish a causal relationship between the drug and the AE, a temporal relationship does not necessarily in and of itself prove that the event was caused by the drug.
- Triage refers to the process of placing a potential adverse event report into one of three categories: 1) non-serious case; 2) serious case; or 3) no case (minimum criteria for an AE case are not fulfilled).
Adverse event reporting
The activity that is most commonly associated with pharmacovigilance
(PV), and which consumes a significant amount of resources for drug
regulatory authorities (or similar government agencies) and drug safety
departments in pharmaceutical companies, is that of adverse event
reporting. Adverse event (AE) reporting involves the receipt, triage,
data entering, assessment, distribution, reporting (if appropriate), and
archiving of AE data and documentation. The source of AE reports may
include: spontaneous reports from healthcare professionals or patients
(or other intermediaries); solicited reports from patient support
programs; reports from clinical or post-marketing studies; reports from
literature sources; reports from the media (including social media and
websites); and reports reported to drug regulatory authorities
themselves. For pharmaceutical companies, AE reporting is a regulatory
requirement in most countries. AE reporting also provides data to these
companies and drug regulatory authorities that play a key role in
assessing the risk-benefit profile of a given drug. The following are
several facets of AE reporting:
Individual Case Safety Report (ICSR)
If
one or more of these four elements is missing, the case is not a valid
ICSR. Although there are no exceptions to this rule there may be
circumstances that may require a judgment call. For example, the term
"identifiable" may not always be clear-cut. If a physician reports that
he/she has a patient X taking drug Y who experienced Z (an AE), but
refuses to provide any specifics about patient X, the report is still a
valid case even though the patient is not specifically identified. This
is because the reporter has first-hand information about the patient
and is identifiable (i.e. a real person) to the physician.
Identifiability is important so as not only to prevent duplicate
reporting of the same case, but also to permit follow-up for additional
information.
The concept of identifiability also applies to the other three
elements. Although uncommon, it is not unheard of for fictitious
adverse event "cases" to be reported to a company by an anonymous
individual (or on behalf of an anonymous patient, disgruntled employee,
or former employee) trying to damage the company's reputation or a
company's product. In these and all other situations, the source of the
report should be ascertained (if possible). But anonymous reporting is
also important, as whistle blower protection is not granted in all
countries. In general, the drug must also be specifically named. Note
that in different countries and regions of the world, drugs are sold
under various tradenames. In addition, there are a large number of
generics which may be mistaken for the trade product. Finally, there is
the problem of counterfeit drugs producing adverse events. If at all
possible, it is best to try to obtain the sample which induced the
adverse event, and send it to either the EMA, FDA or other government agency responsible for investigating AE reports.
If a reporter can't recall the name of the drug they were taking
when they experienced an adverse event, this would not be a valid case.
This concept also applies to adverse events. If a patient states that
they experienced "symptoms", but cannot be more specific, such a report
might technically be considered valid, but will be of very limited value
to the pharmacovigilance department of the company or to drug
regulatory authorities.
Coding of adverse events
Adverse
event coding is the process by which information from an AE reporter,
called the "verbatim", is coded using standardized terminology from a
medical coding dictionary, such as MedDRA
(the most commonly used medical coding dictionary). The purpose of
medical coding is to convert adverse event information into terminology
that can be readily identified and analyzed. For instance, Patient 1
may report that they had experienced "a very bad headache that felt like
their head was being hit by a hammer" [Verbatim 1] when taking Drug X.
Or, Patient 2 may report that they had experienced a "slight, throbbing
headache that occurred daily at about two in the afternoon" [Verbatim
2] while taking Drug Y. Neither Verbatim 1 nor Verbatim 2 will exactly
match a code in the MedDRA coding dictionary. However, both quotes
describe different manifestations of a headache. As a result, in this
example both quotes would be coded as PT Headache (PT = Preferred Term
in MedDRA).
Seriousness determination
Although
somewhat intuitive, there are a set of criteria within
pharmacovigilance that are used to distinguish a serious adverse event
from a non-serious one. An adverse event is considered serious if it
meets one or more of the following criteria:
- Results in death, or is life-threatening;
- Requires inpatient hospitalization or prolongation of existing hospitalization;
- Results in persistent or significant disability or incapacity;
- Results in a congenital anomaly (birth defect); or
- Is otherwise "medically significant" (i.e., that it does not meet preceding criteria, but is considered serious because treatment/intervention would be required to prevent one of the preceding criteria.)
Aside from death, each of these categories is subject to some
interpretation. Life-threatening, as it used in the drug safety world,
specifically refers to an adverse event that places the patient at an immediate risk of death, such as cardiac or respiratory arrest. By this definition, events such as myocardial infarction,
which would be hypothetically life-threatening, would not be considered
life-threatening unless the patient went into cardiac arrest following
the MI. Defining what constitutes hospitalization can be problematic as
well. Although typically straightforward, it's possible for a
hospitalization to occur even if the events being treated are not
serious. By the same token, serious events may be treated without
hospitalization, such as the treatment of anaphylaxis may be
successfully performed with epinephrine. Significant disability and
incapacity, as a concept, is also subject to debate. While permanent
disability following a stroke would no doubt be serious, would "complete
blindness for 30 seconds" be considered "significant disability"? For
birth defects, the seriousness of the event is usually not in dispute so
much as the attribution of the event to the drug. Finally, "medically
significant events" is a category that includes events that may be
always serious, or sometimes serious, but will not fulfill any of the
other criteria. Events such as cancer might always be considered
serious, whereas liver disease, depending on its CTCAE (Common
Terminology Criteria for Adverse Events) grade—Grades 1 or 2 are
generally considered non-serious and Grades 3-5 serious—may be
considered non-serious.
Clinical trial reporting
Also
known as SAE (serious adverse event) reporting from clinical trials,
safety information from clinical studies is used to establish a drug's
safety profile in humans and is a key component that drug regulatory
authorities consider in the decision-making as to whether to grant or
deny market authorization (market approval) for a drug. SAE reporting
occurs as a result of study patients (subjects) who experience serious
adverse events during the conducting of clinical trials. (Non-serious
adverse events are also captured separately.) SAE information, which
may also include relevant information from the patient's medical
background, are reviewed and assessed for causality by the study
investigator. This information is forwarded to a sponsoring entity
(typically a pharmaceutical company) that is responsible for the
reporting of this information, as appropriate, to drug regulatory
authorities.
Spontaneous reporting
Spontaneous
reports are termed spontaneous as they take place during the
clinician's normal diagnostic appraisal of a patient, when the clinician
is drawing the conclusion that the drug may be implicated in the
causality of the event.
Spontaneous reporting system relies on vigilant physicians and other
healthcare professionals who not only generate a suspicion of an ADR,
but also report it. It is an important source of regulatory actions such
as taking a drug off the market or a label change due to safety
problems.
Spontaneous reporting is the core data-generating system of
international pharmacovigilance, relying on healthcare professionals
(and in some countries consumers) to identify and report any adverse
events to their national pharmacovigilance center, health authority
(such as EMA or FDA), or to the drug manufacturer itself.
Spontaneous reports are, by definition, submitted voluntarily although
under certain circumstances these reports may be encouraged, or
"stimulated", by media reports or articles published in medical or
scientific publications, or by product lawsuits. In many parts of the
world adverse event reports are submitted electronically using a defined
message standard.
One of the major weaknesses of spontaneous reporting is that of
under-reporting, where, unlike in clinical trials, less than 100% of
those adverse events occurring are reported. Further complicating the
assessment of adverse events, AE reporting behavior varies greatly
between countries and in relation to the seriousness of the events, but
in general probably less than 10% (some studies suggest less than 5%) of
all adverse events that occur are actually reported. The rule-of-thumb
is that on a scale of 0 to 10, with 0 being least likely to be reported
and 10 being the most likely to be reported, an uncomplicated
non-serious event such as a mild headache will be closer to a "0" on
this scale, whereas a life-threatening or fatal event will be closer to a
"10" in terms of its likelihood of being reported. In view of this,
medical personnel may not always see AE reporting as a priority,
especially if the symptoms are not serious. And even if the symptoms are
serious, the symptoms may not be recognized as a possible side effect
of a particular drug or combination thereof. In addition, medical
personnel may not feel compelled to report events that are viewed as
expected. This is why reports from patients themselves are of high
value. The confirmation of these events by a healthcare professional is
typically considered to increase the value of these reports. Hence it is
important not only for the patient to report the AE to his health care
provider (who may neglect to report the AE), but also report the AE to
both the biopharmaceutical company and the FDA, EMA, ... This is
especially important when one has obtained one's pharmaceutical from a
compounding pharmacy.
As such, spontaneous reports are a crucial element in the worldwide enterprise of pharmacovigilance and form the core of the World Health Organization Database, which includes around 4.6 million reports (January 2009), growing annually by about 250,000.
Aggregate reporting
Aggregate
reporting, also known as periodic reporting, plays a key role in the
safety assessment of drugs. Aggregate reporting involves the
compilation of safety data for a drug over a prolonged period of time
(months or years), as opposed to single-case reporting which, by
definition, involves only individual AE reports. The advantage of
aggregate reporting is that it provides a broader view of the safety
profile of a drug. Worldwide, the most important aggregate report is
the Periodic Safety Update Report (PSUR) and Development Safety Update
Report (DSUR). This is a document that is submitted to drug regulatory
agencies in Europe, the US and Japan (ICH countries), as well as other
countries around the world. The PSUR was updated in 2012 and is now
referred to in many countries as the Periodic Benefit Risk Evaluation
report (PBRER). As the title suggests, the PBRER's focus is on the
benefit-risk profile of the drug, which includes a review of relevant
safety data compiled for a drug product since its development.
Other reporting methods
Some
countries legally oblige spontaneous reporting by physicians. In most
countries, manufacturers are required to submit, through its Qualified Person for Pharmacovigilance
(QPPV), all of the reports they receive from healthcare providers to
the national authority. Others have intensive, focused programmes
concentrating on new drugs, or on controversial drugs, or on the
prescribing habits of groups of doctors, or involving pharmacists in
reporting. All of these generate potentially useful information. Such
intensive schemes, however, tend to be the exception. A number of
countries have reporting requirements or reporting systems specific to
vaccine-related events.
Risk management
Risk management
is the discipline within pharmacovigilance that is responsible for
signal detection and the monitoring of the risk-benefit profile of
drugs. Other key activities within the area of risk management are that
of the compilation of risk management plans
(RMPs) and aggregate reports such as the Periodic Safety Update Report
(PSUR), Periodic Benefit-Risk Evaluation Report (PBRER), and the
Development Safety Update Report (DSUR).
Causality assessment
One
of the most important, and challenging, problems in pharmacovigilance
is that of the determination of causality. Causality refers to the
relationship of a given adverse event to a specific drug. Causality
determination (or assessment) is often difficult because of the lack of
clear-cut or reliable data. While one may assume that a positive
temporal relationship might "prove" a positive causal relationship, this
is not always the case. Indeed, a "bee sting" AE—where the AE can
clearly be attributed to a specific cause—is by far the exception rather
than the rule. This is due to the complexity of human physiology as
well as that of disease and illnesses. By this reckoning, in order to
determine causality between an adverse event and a drug, one must first
exclude the possibility that there were other possible causes or
contributing factors. If the patient is on a number of medications, it
may be the combination of these drugs which causes the AE, and not any
one individually. There have been a number of recent high-profile cases
where the AE led to the death of an individual. The individual(s) were
not overdosed with any one of the many medications they were taking, but
the combination there appeared to cause the AE. Hence it is important
to include in your/one's AE report, not only the drug being reported,
but also all other drugs the patient was also taking.
For instance, if a patient were to start Drug X and then three
days later were to develop an AE, one might be tempted to attribute
blame Drug X. However, before that can be done, the patient's medical
history would need to be reviewed to look for possible risk factors for
the AE. In other words, did the AE occur with the drug or because
of the drug? This is because a patient on any drug may develop or be
diagnosed with a condition that could not have possibly been caused by
the drug. This is especially true for diseases, such as cancer, which
develop over an extended period of time, being diagnosed in a patient
who has been taken a drug for a relatively short period of time. On the
other hand, certain adverse events, such as blood clots (thrombosis),
can occur with certain drugs with only short-term exposure.
Nevertheless, the determination of risk factors is an important step of
confirming or ruling-out a causal relationship between an event and a
drug.
Often the only way to confirm the existence of a causal
relationship of an event to a drug is to conduct an observational study
where the incidence of the event in a patient population taking the drug
is compared to a control group. This may be necessary to determine if
the background incidence of an event is less than that found in a group
taking a drug. If the incidence of an event is statistically
significantly higher in the "active" group versus the placebo group (or
other control group), it is possible that a causal relationship may
exist to a drug, unless other confounding factors may exist.
Signal detection
Signal detection
(SD) involves a range of techniques (CIOMS VIII). The WHO defines a
safety signal as: "Reported information on a possible causal
relationship between an adverse event and a drug, the relationship being
unknown or incompletely documented previously". Usually more than a
single report is required to generate a signal, depending upon the event
and quality of the information available.
Data mining pharmacovigilance databases is one approach that has
become increasingly popular with the availability of extensive data
sources and inexpensive computing resources. The data sources
(databases) may be owned by a pharmaceutical company, a drug regulatory
authority, or a large healthcare provider. Individual Case Safety
Reports (ICSRs) in these databases are retrieved and converted into
structured format, and statistical methods (usually a mathematical
algorithm) are applied to calculate statistical measures of association.
If the statistical measure crosses an arbitrarily set threshold, a
signal is declared for a given drug associated with a given adverse
event. All signals deemed worthy of investigation, require further
analysis using all available data in an attempt to confirm or refute the
signal. If the analysis is inconclusive, additional data may be needed
such as a post-marketing observational trial.
SD is an essential part of drug use and safety surveillance.
Ideally, the goal of SD is to identify ADRs that were previously
considered unexpected and to be able to provide guidance in the
product's labeling as to how to minimize the risk of using the drug in a
given patient population.
Risk management plans
A
risk management plan (RMP) is a documented plan that describes the
risks (adverse drug reactions and potential adverse reactions)
associated with the use of a drug and how they are being handled
(warning on drug label or on packet inserts of possible side effects
which if observed should cause the patient to inform/see his physician
and/or pharmacist and/or the manufacturer of the drug and/or the FDA, EMA)).
The overall goal of an RMP is to assure a positive risk-benefit
profile once the drug is (has been) marketed. The document is required
to be submitted, in a specified format, with all new market
authorization requests within the European Union
(EU). Although not necessarily required, RMPs may also be submitted in
countries outside the EU. The risks described in an RMP fall into one
of three categories: identified risks, potential risks, and unknown
risks. Also described within an RMP are the measures that the Market
Authorization Holder, usually a pharmaceutical company, will undertake
to minimize the risks associated with the use of the drug. These
measures are usually focused on the product's labeling and healthcare
professionals. Indeed, the risks that are documented in a
pre-authorization RMP will inevitably become part of the product's
post-marketing labeling. Since a drug, once authorized, may be used in
ways not originally studied in clinical trials, this potential "off-label use",
and its associated risks, is also described within the RMP. RMPs can
be very lengthy documents, running in some cases hundreds of pages and,
in rare instances, up to a thousand pages long.
In the US, under certain circumstances, the FDA may require a
company to submit a document called a Risk Evaluation and Mitigation
Strategies (REMS) for a drug that has a specific risk that FDA believes
requires mitigation. While not as comprehensive as an RMP, a REMS can
require a sponsor to perform certain activities or to follow a protocol,
referred to as Elements to Assure Safe Use (ETASU),
to assure that a positive risk-benefit profile for the drug is
maintained for the circumstances under which the product is marketed.
Risk/benefit profile of drugs
Pharmaceutical companies are required by law in most countries to perform clinical trials,
testing new drugs on people before they are made generally available.
This occurs after a drug has been pre-screened for toxicity, sometimes
using animals for testing. The manufacturers or their agents usually
select a representative sample of patients for whom the drug is designed
– at most a few thousand – along with a comparable control group. The
control group may receive a placebo and/or another drug, often a
so-called "gold standard" that is "best" drug marketed for the disease.
The purpose of clinical trials is to determine:
- If a drug works and how well it works
- If it has any harmful effects, and
- If it does more good than harm, and how much more? If it has a potential for harm, how probable and how serious is the harm?
Clinical trials do, in general, tell a good deal about how well a
drug works. They provide information that should be reliable for larger
populations with the same characteristics as the trial group – age,
gender, state of health, ethnic origin, and so on though target clinical
populations are typically very different from trial populations with
respect to such characteristics
.
The variables in a clinical trial are specified and controlled,
but a clinical trial can never tell you the whole story of the effects
of a drug in all situations. In fact, nothing could tell you the whole
story, but a clinical trial must tell you enough; "enough" being
determined by legislation and by contemporary judgements about the
acceptable balance of benefit and harm. Ultimately, when a drug is
marketed it may be used in patient populations that were not studied
during clinical trials (children, the elderly, pregnant women, patients
with co-morbidities not found in the clinical trial population, etc.)
and a different set of warnings, precautions or contraindications (where
the drug should not be used at all) for the product's labeling may be
necessary in order to maintain a positive risk/benefit profile in all
known populations using the drug.
Pharmacogenetics and pharmacogenomics
Although often used interchangeably, there are subtle differences between the two disciplines. Pharmacogenetics
is generally regarded as the study or clinical testing of genetic
variation that gives rise to differing responses to drugs, including
adverse drug reactions. It is hoped that pharmacogenetics will
eventually provide information as to which genetic profiles in patients
will place those patients at greatest risk, or provide the greatest
benefit, for using a particular drug or drugs. Pharmacogenomics,
on the other hand, is the broader application of genomic technologies
to new drug discovery and further characterization of older drugs.
International collaboration
The following organizations play a key collaborative role in the global oversight of pharmacovigilance.
The World Health Organization (WHO)
The
principle of international collaboration in the field of
pharmacovigilance is the basis for the WHO Programme for International
Drug Monitoring, through which over 150 member nations have systems in
place that encourage healthcare personnel to record and report adverse
effects of drugs in their patients.
These reports are assessed locally and may lead to action within the
country. Since 1978, the programme has been managed by the Uppsala Monitoring Centre to which member countries send their reports to be processed, evaluated and entered into an international database called VigiBase. Membership in the WHO Programme enables a country to know if similar reports are being made elsewhere.
When there are several reports of adverse reactions to a particular
drug, this process may lead to the detection of a signal, and an alert
about a possible hazard communicated to members countries after detailed
evaluation and expert review.
The International Council for Harmonisation (ICH)
The
ICH is a global organization with members from the European Union, the
United States and Japan; its goal is to recommend global standards for
drug companies and drug regulatory authorities around the world, with
the ICH Steering Committee (SC) overseeing harmonization activities.
Established in 1990, each of its six co-sponsors—the EU, the European
Federation of Pharmaceutical Industries and Associations (EFPIA),
Japan's Ministry of Health, Labor and Welfare (MHLW), the Japanese
Pharmaceutical Manufacturers Association (JPMA), the U.S. Food and Drug
Administration (FDA), and the Pharmaceutical Research and Manufacturers
of America (PhRMA)—have two seats on the SC. Other parties have a
significant interest in ICH and have been invited to nominate Observers
to the SC; three current observers are the WHO, Health Canada, and the European Free Trade Association
(EFTA), with the International Federation of Pharmaceutical
Manufacturers Association (IFPMA) participating as a non-voting member
of the SC.
The Council for International Organizations of Medical Science (CIOMS)
The CIOMS, a part of the WHO, is a globally oriented think tank that provides guidance on drug safety related topics through its Working Groups.
The CIOMS prepares reports that are used as a reference for developing
future drug regulatory policy and procedures, and over the years, many
of CIOMS' proposed policies have been adopted.
Examples of topics these reports have covered include: Current
Challenges in Pharmacovigilance: Pragmatic Approaches (CIOMS V);
Management of Safety Information from Clinical Trials (CIOMS VI); the
Development Safety Update Report (DSUR): Harmonizing the Format and
Content for Periodic Safety Reporting During Clinical Trials (CIOMS
VII); and Practical Aspects of Signal Detection in Pharmacovigilance:
Report of CIOMS Working Group (CIOMS VIII).
The International Society of Pharmacovigilance (ISoP)
The
ISoP is an international non-profit scientific organization, which aims
to foster pharmacovigilance both scientifically and educationally, and
enhance all aspects of the safe and proper use of medicines, in all
countries. It was established in 1992 as the European Society of Pharmacovigilance.
Society of Pharmacovigilance, India,
also established in 1992, is partner member of ISoP. Local societies
include the Boston Society of Pharmacovigilance Physicians.
Regulatory authorities
Drug regulatory authorities play a key role in national or regional
oversight of pharmacovigilance. Some of the agencies involved are listed
below (in order of 2011 spending on pharmaceuticals, from the IMS
Institute for Healthcare Informatics).
United States
In the U.S., with about a third of all global 2011 pharmaceutical expenditures, the drug industry is regulated by the FDA, the largest national drug regulatory authority in the world. FDA authority is exercised through enforcement of regulations derived from legislation, as published in the U.S. Code of Federal Regulations
(CFR); the principal drug safety regulations are found in 21 CFR Part
312 (IND regulations) and 21 CFR Part 314 (NDA regulations).
While those regulatory efforts address pre-marketing concerns,
pharmaceutical manufacturers and academic/non-profit organizations such
as RADAR and Public Citizen do play a role in pharmacovigilance in the US.
The post-legislative rule-making process of the U.S. federal government
provides for significant input from both the legislative and executive
branches, which also play specific, distinct roles in determining FDA
policy.
Emerging economies (including Latin America)
The
"pharmerging", or emerging pharmaceutical market economies, which
include Brazil, India, Russia, Argentina, Egypt, Indonesia, Mexico,
Pakistan, Poland, Romania, South Africa, Thailand, Turkey, Ukraine and
Vietnam, accrued one fifth of global 2011 pharmaceutical expenditures;
in future, aggregated data for this set will include China as well.
China's economy is anticipated to pass Japan to become second in
the ranking of individual countries' in pharmaceutical purchases by
2015, and so its PV regulation will become increasing important; China's
regulation of PV is through its National Center for Adverse Drug
Reaction (ADR) Monitoring, under China's Ministry of Health.
As JE Sackman notes, as of April 2013 "there is no Latin American
equivalent of the European Medicines Agency—no common body with the
power to facilitate greater consistency across countries".
For simplicity, and per sources, 17 smaller economies are discussed
alongside the 4 pharmemerging large economies of Argentina, Brazil,
Mexico and Venzuala—Bolivia, Chile, Colombia, Costa Rica, Cuba,
Dominican Republic, Ecuador, El Salvador, Guatemala, Haiti, Honduras,
Nicaragua, Panama, Paraguay, Peru, Suriname, and Uruguay.
As of June 2012, 16 of this total of 21 countries have systems for
immediate reporting and 9 have systems for periodic reporting of adverse
events for on-market agents, while 10 and 8, respectively, have systems
for immediate and periodic reporting of adverse events during clinical
trials; most of these have PV requirements that rank as "high or
medium...in line with international standards" (ibid.). The WHO's Pan American Network for Drug Regulatory Harmonization seeks to assist Latin American countries in develop harmonized PV regulations.
Some further PV regulatory examples from the pharmerging nations
are as follows. In India, the PV regulatory authority is the Indian
Pharmacopoeia Commission, with a National Coordination Centre under the
Pharmacovigilance Program of India, in the Ministry of Health and Family
Welfare.
Scientists working on pharmacovigilance share their experiences,
findings, innovative ideas and researches during the annual meeting of Society of Pharmacovigilance, India. In Egypt, PV is regulated by the Egyptian Pharmacovigilance Center of the Egyptian Ministry of Health.
European Union
The EU5 (France, Germany, Italy, Spain, United Kingdom) accrued ~17% of global 2011 pharmaceutical expenditures. PV efforts in the EU are coordinated by the European Medicines Agency (EMA) and are conducted by the national competent authorities (NCAs).
The main responsibility of the EMA is to maintain and develop the
pharmacovigilance database consisting of all suspected serious adverse
reactions to medicines observed in the European Community; the data processing network and management system is called EudraVigilance and contains separate but similar databases of human and veterinary reactions.
The EMA requires the individual marketing authorization holders to
submit all received adverse reactions in electronic form, except in
exceptional circumstances; the reporting obligations of the various
stakeholders are defined by EEC legislation, namely Regulation (EC) No 726/2004, and for human medicines, European Union Directive 2001/83/EC as amended and Directive 2001/20/EC. In 2002, Heads of Medicines Agencies
agreed on a mandate for an ad hoc Working Group on establishing a
European risk management strategy; the Working Group considered the
conduct of a high level survey of EU pharmacovigilance resources to
promote the utilization of expertise and encourage collaborative
working.
In conjunction with this oversight, individual countries maintain their distinct regulatory agencies with PV responsibility. For instance, in Spain, PV is regulated by the Agencia Española de Medicamentos y Productos Sanitarios
(AEMPS), a legal entity that retains the right to suspend or withdraw
the authorization of pharmaceuticals already on-market if the evidence
shows that safety (or quality or efficacy) of an agent are
unsatisfactory.
Rest of Europe, including non-EU
The remaining EU and non-EU countries outside the EU5 accrued ~7% of global 2011 pharmaceutical expenditures.
Regulation of those outside the EU being managed by specific
governmental agencies. For instance, in Switzerland, PV "inspections"
for clinical trials of medicinal products are conducted by the Swiss
Agency for Therapeutic Products.
Japan
In Japan, with ~12% of all global 2011 pharmaceutical expenditures, PV matters are regulated by the Pharmaceuticals and Medical Devices Agency (PMDA) and the Ministry of Health, Labour, and Welfare MHLW.
Canada
In Canada, with ~2% of all global 2006 and 2011 pharmaceutical expenditures,PV is regulated by the Marketed Health Products Directorate of the Health Products and Food Branch(MHPD).
Canada was second, following the United States, in holding the highest
total prescription drug expenditures per capita in 2011 at around 750 US
dollars per person. Canada also pays such a large amount for
pharmaceuticals that it was second, next to Switzerland, for the amount
of money spent for a certain amount of prescription drugs (around 130 US
dollars). It was also accessed that Canada was one of the top countries
that increased its yearly average per capita growth on pharmaceutical
expenditures the most from 2000-2010 with 4 percent a year (with taking
inflation into account)
The MHPD mainly collects adverse drug reaction reports through a
network of reporting centers to analyze and issue possible warnings to
the public, and currently utilizes newsletters, advisories, adverse
reaction centers, as well as electronic mailing lists. However, it does
not currently maintain a database or list of drugs removed from Canada
as a result of safety concerns.
In August 2017, there was a government controversy in which a
bill, known as “Vanessa’s Law”, to protect patients from potentially
dangerous prescription drugs was not being fully realized by hospitals;
Health Canada only required hospitals to report “unexpected” negative
reactions to prescription drugs, rather than any and all adverse
reactions, with the justification of managing “administrative
overload”.
South Korea
The Republic of Korea, with ~1% of all global 2011 pharmaceutical expenditures, PV matters are regulated in South Korea by the Ministry Of Food And Drug Safety (MFDS)
Africa
Kenya
In Kenya, PV is regulated by the Pharmacy and Poisons Board.The Pharmacy and Poisons Board
provides a Pharmacovigilance Electronic Reporting System which allows
for the online reporting of suspected adverse drug reactions as well as
suspected poor quality of medicinal products. The Pharmacovigilance activities in Kenya are supported by the School of Pharmacy, University of Nairobi through its Master of Pharmacy in Pharmacoepidemiology & Pharmacovigilance program offered by the Department of Pharmacology and Pharmacognosy.
In Uganda, PV is regulated by the National Drug Authority.
Rest of world (ROW)
ROW accrued ~7% of global 2011 pharmaceutical expenditures.
Some examples of PV regulatory agencies in ROW are as follows. In Iraq,
PV is regulated by the Iraqi Pharmacovigilance Center of the Iraqi
Ministry of Health.
Pharmacoenvironmentology; (Ecopharmacovigilance [EPV])
Despite
attention from the FDA and regulatory agencies of the European Union,
procedures for monitoring drug concentrations and adverse effects in the
environment are lacking.
Pharmaceuticals, their metabolites, and related substances may enter
the environment after patient excretion, after direct release to waste
streams during manufacturing or administration, or via terrestrial
deposits (e.g., from waste sludges or leachates).
A concept combining pharmacovigilance and environmental pharmacology,
intended to focus attention on this area, was introduced first as pharmacoenvironmentology in 2006 by Syed Ziaur Rahman and later as ecopharmacology
with further concurrent and later terms for the same concept
(ecopharmacovigilance [EPV], environmental pharmacology,
ecopharmacostewardship).
The first of these routes to the environment, elimination through
living organisms subsequent to pharmacotherapy, is suggested as the
principal source of environmental contamination (apart from cases where
norms for treatment of manufacturing and other wastes are violated), and
EPV is intended to deal specifically with this impact of
pharmacological agents on the environment.
Activities of EPV have been suggested to include:
- Increasing, generally, the availability of environmental data on medicinal products;
- Tracking emerging data on environmental exposure, effects and risks after product launch;
- Using Environmental Risk Management Plans (ERMPs) to manage risk throughout a drug's life cycle;
- Following risk identification, promoting further research and environmental monitoring, and
- In general, promoting a global perspective on EPV issues.
Related to medical devices
A medical device is an instrument, apparatus, implant, in vitro
reagent, or similar or related article that is used to diagnose,
prevent, or treat disease or other conditions, and does not achieve its
purposes through chemical action within or on the body (which would make
it a drug).
Whereas medicinal products (also called pharmaceuticals) achieve their
principal action by pharmacological, metabolic or immunological means,
medical devices act by physical, mechanical, or thermal means. Medical
devices vary greatly in complexity and application. Examples range from
simple devices such as tongue depressors, medical thermometers, and disposable gloves to advanced devices such as medical robots, cardiac pacemakers, and neuroprosthetics.
This modern concept of monitoring and safety of medical devices which
is known materiovigilance was quite documented in Unani System of
medicine.
Given the inherent difference between medicinal products and
medical products, the vigilance of medical devices is also different
from that of medicinal products. To reflect this difference, a
classification system has been adopted in some countries to stratify the
risk of failure with the different classes of devices. The classes of
devices typically run on a 1-3 or 1-4 scale, with Class 1 being the
least likely to cause significant harm with device failure versus
Classes 3 or 4 being the most likely to cause significant harm with
device failure. An example of a device in the "low risk" category would
be contact lenses. An example of a device in the "high risk" category
would be cardiac pacemakers.
Medical device reporting (MDR), which is the reporting of adverse
events with medical devices, is similar to that with medicinal
products, although there are differences. For instance, in the US
user-facilities such as hospitals and nursing homes are legally required
to report suspected medical device-related deaths to both FDA and the
manufacturer, if known, and serious injuries to the manufacturer or to
FDA, if the manufacturer is unknown. This is in contrast to the voluntary reporting of AEs with medicinal products.
For herbal medicines
The safety of herbal medicines has become a major concern to both national health authorities and the general public. The use of herbs as traditional medicines continues to expand rapidly across the world; many people now take herbal medicines or herbal products for their health care in different national health-care settings. However, mass media reports of adverse events with herbal medicines can be incomplete and therefore misleading.
Moreover, it can be difficult to identify the causes of herbal
medicine-associated adverse events since the amount of data on each
event is generally less than for pharmaceuticals formally regulated as
drugs (since the requirements for adverse event reporting are either
non-existent or are less stringent for herbal supplements and
medications).