Medical Management of Hyperglycemia in Type 2 Diabetes: A Consensus Algorithm for the Initiation and Adjustment of Therapy: A Consensus Statement of the American Diabetes Association and the European Association for the Study of Diabetes
Author(s) -
David M. Nathan
Publication year - 2009
Publication title -
diabetes care
Language(s) - English
Resource type - Journals
SCImago Journal Rank - 6.636
H-Index - 363
eISSN - 1935-5548
pISSN - 0149-5992
DOI - 10.2337/dc09-0271
Subject(s) - medicine , statement (logic) , diabetes mellitus , type 2 diabetes , association (psychology) , consensus algorithm , medline , consensus conference , intensive care medicine , family medicine , endocrinology , algorithm , psychotherapist , psychology , political science , computer science , law
W e are not surprised that Glaxo-SmithKline, the manufacturer of rosiglitazone (Avandia), is not happy with the recommendation of the consensus group (1) that rosiglitazone not be used in the treatment of type 2 diabetes (2). Drs. Cobitz and Ambery argue that the consensus group used data selectively, did not consistently apply criteria for selecting interventions, and unfairly dismissed the use of rosiglitazone. They note the absence of conclusive data regarding the safety of rosiglitazone, citing meta-analyses, including one by the U.S. Food and Drug Administration (FDA), that, according to Cobitz and Am-bery, reported " no increase in cardiovas-cular ischemic risk with rosiglitazone, " and state that the FDA and European Medicines Agency have " maintained the availability of rosiglitazone to patients. " With regard to the absence of conclusive data to judge the safety of rosiglita-zone, we have decried the absence of definitive studies to address this important issue (3). However, the evidence proffered by GlaxoSmithKline that, according to Cobitz and Ambery, we " overlooked " and that exonerates rosiglitazone is disingenuous at best. The cited meta-analysis by Lago et al. was restricted to an examination of cardiovascular mortality rather than all myocardial infarctions, which were the basis of the original (4) and subsequent (5) meta-analyses that identified the putative cardiovascular risk of rosiglitazone. In addition, Cobitz and Ambery's contention that the FDA meta-analysis did not implicate rosiglitazone as a cardiovascular risk factor is belied by the FDA statistician's conclusion: " Both this reviewer's and the applicant's [Glaxo-SmithKline's] analyses produced statistically significant overall estimates of risk of about 1.3 to 1.4 for both total (nonserious plus serious) myocardial ischemic events and serious myocardial ischemic events " (6). Although we agree that the " vagaries " of meta-analyses are problematic, the results of the meta-analyses are much more consistent than GlaxoSmithKline suggests. Moreover, neither A Diabetes Outcome Progression Trial (ADOPT) nor the Rosiglitazone Evaluated for Cardiac Outcomes and Regulation of Glycaemia in Diabetes (RECORD) trial provides reassurance regarding rosiglitazone's safety. RECORD is the only study of ros-iglitazone that has been aimed directly at cardiovascular disease outcomes, with the hypothesis that rosiglitazone was nonin-ferior to comparators. Although the interim analysis was grossly underpowered, the direction of the preliminary results suggested a trend toward more, not fewer, cardiovascular events with rosiglitazone. The consensus group strongly felt that it could not ignore the accumulating data questioning the safety of rosiglita-zone. Although rosiglitazone remains …
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