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Promoting Adoption of the 3Rs through Regulatory Qualification
Author(s) -
Elizabeth G. Walker,
Amanda F. Baker,
J M Sauer
Publication year - 2016
Publication title -
ilar journal
Language(s) - English
Resource type - Journals
eISSN - 1930-6180
pISSN - 1084-2020
DOI - 10.1093/ilar/ilw032
Subject(s) - context (archaeology) , risk analysis (engineering) , drug development , regulatory science , computer science , agency (philosophy) , process (computing) , regulatory agency , process management , food and drug administration , business , management science , drug , pharmacology , medicine , engineering , biology , political science , paleontology , philosophy , epistemology , pathology , public administration , operating system
One mechanism to advance the application of novel safety assessment methodologies in drug development, including in silico or in vitro approaches that reduce the use of animals in toxicology studies, is regulatory qualification. Regulatory qualification, a formal process defined at the the U. S. Food and Drug Administration and the European Medicines Agency, hinges on a central concept of stating an appropriate "context of use" for a novel drug development tool (DDT) that precisely defines how that DDT can be used to support decision making in a regulated drug development setting. When accumulating the data to support a particular "context-of-use," the concept of "fit-for-purpose" often guides assay validation, as well as the type and amount of data or evidence required to evaluate the tool. This paper will review pathways for regulatory acceptance of novel DDTs and discuss examples of safety projects considered for regulatory qualification. Key concepts to be considered when defining the evidence required to formally adopt and potentially replace animal-intensive traditional safety assessment methods using qualified DDTs are proposed. Presently, the use of qualified translational kidney safety biomarkers can refine and reduce the total numbers of animals used in drug development. We propose that the same conceptual regulatory framework will be appropriate to assess readiness of new technologies that may eventually replace whole animal models.

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