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Guidance for Industry on Postmarketing Adverse Event Reporting for Medical Products and Dietary Supplements During an Influenza Pandemic

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SUPPORTING STATEMENT


Guidance for Industry on Postmarketing Adverse Event Reporting for Medical Products and Dietary Supplements During an Influenza Pandemic



A. Justification


1. Circumstances Making the Collection of Information Necessary


This information collection approval request is for a Food and Drug Administration (FDA) guidance for industry entitled “Postmarketing Adverse Event Reporting for Medical Products and Dietary Supplements During an Influenza Pandemic.” The guidance discusses FDA’s intended approach to enforcement of adverse event reporting requirements for drugs, biologics, medical devices, and dietary supplements during an influenza pandemic. FDA anticipates that during an influenza pandemic, industry and FDA workforces may be reduced because of high employee absenteeism, while reporting of adverse events related to widespread use of medical products indicated for the treatment or prevention of influenza may increase. The extent of these possible changes is unknown. The Agency makes recommendations to industry for focusing limited resources on reports related to products indicated for the prevention and treatment of influenza and other specific types of reports indicated in the guidance. The guidance recommends that each firm’s pandemic influenza continuity of operations plan (COOP) include instructions for reporting adverse events and a plan for the submission of stored reports that were not submitted within regulatory timeframes. The guidance indicates which reports may generally be stored if necessary because of pandemic-related high employee absenteeism, without FDA objection. However, any delayed reports must be submitted after adverse event reporting processes have been restored to the pre-pandemic state. Firms should maintain records to identify what has been stored and when the processes were restored.

2. Purpose and Use of the Information Collection

FDA believes this approach described in the guidance will make it possible for firms with postmarketing adverse event reporting responsibilities to focus their limited resources on reports related to critical products indicated for the treatment or prevention of influenza. FDA will continue to receive reports on critical medical products. After pre-pandemic conditions are restored, FDA will also have information to ensure that required reports are submitted as part of the Agency’s ongoing evaluation of postmarketing adverse events for safety problems.


3. Use of Improved Information Technology and Burden Reduction

Although not specifically addressed in the guidance, we assume that firms will rely on their standard electronic information technology systems to develop and maintain the pandemic influenza COOP recommended in the guidance. We also assume that firms will use standard email technology to notify FDA when normal reporting is not feasible and when the normal reporting processes have been restored.


4. Efforts to Identify Duplication and Use of Similar Information

The information collection requested under the guidance does not duplicate any other information collection.


5. Impact on Small Businesses or Other Small Entities

The guidance applies to both large and small firms that are responsible for postmarketing adverse events reporting for drugs, biologics, medical devices, and dietary supplements. Under the Regulatory Flexibility Act, FDA regularly analyzes regulatory options that would minimize any significant impact on small entities. FDA also assists small businesses in complying with regulatory requirements.


6. Consequences of Collecting the Information Less Frequently

We believe that the recommendations in the guidance will help mitigate disruptions in reporting of postmarketing adverse events that may occur as a result in high absenteeism during an influenza pandemic.


7. Special Circumstances Relating to the Guidelines of 5 CFR 1320.5

This guidance contains no inconsistency with the guidelines in 5 CFR 1320.5.

8. Comments in Response to the Federal Register Notice and Efforts to Consult Outside the Agency
In the Federal Register of January 7, 2011 (76 FR 1170), FDA announced the availability of the draft guidance. In that Federal Register notice, FDA provided the public with 60 days to comment on the proposed collection of information. No comments were received on the draft guidance or the information collection in the draft guidance.


9. Explanation of Any Payment or Gift to Respondents
FDA has not provided and has no intention to provide any payment or gift to respondents under this guidance.


10. Assurance of Confidentiality Provided to Respondents

Although we do not anticipate any confidentiality issues resulting from the information collection in the guidance, confidentiality of information submitted under marketing applications is protected under 21 CFR 314.430 and 21 CFR part 20. In addition, the unauthorized use or disclosure of trade secrets required in applications is specifically prohibited under section 310(j) of the FD&C Act.


11. Justification for Sensitive Questions
There are no questions of a sensitive nature.


12A. Estimates of Annualized Burden Hours

Hour Burden

FDA estimates the burden of this collection of information as follows:

The draft guidance explains FDA’s approach to enforcement of adverse event reporting requirements for drugs, biologics, medical devices, and dietary supplements during an influenza pandemic, including an intent not to object to changes in the timing of submission of certain reports during some stages of the pandemic response. The agency recommends that each firm’s pandemic influenza COOP include instructions for reporting adverse events, including a plan for the submission of stored reports that were not submitted within regulatory timeframes. The draft guidance explains that firms that are unable to fulfill normal adverse event reporting requirements during an influenza pandemic should: (1) Maintain documentation of the conditions that prevent them from meeting normal reporting requirements, (2) notify the appropriate FDA organizational unit responsible for adverse event reporting compliance when the conditions exist and when the reporting process is restored, and (3) maintain records to identify what reports have been stored.

Based on the number of manufacturers that would be covered by the guidance, we estimate that approximately 5,000 firms will add to their COOP: (1) Instructions for reporting adverse events and (2) a plan for submitting stored reports that were not submitted within regulatory timeframes. We estimate that each firm will take approximately 50 hours to prepare the adverse event reporting plan for its COOP.

We estimate that approximately 500 firms will be unable to fulfill normal adverse event reporting requirements because of conditions caused by an influenza pandemic and that these firms will notify the appropriate FDA organizational unit responsible for adverse event reporting compliance when the conditions exist. Although we do not anticipate such pandemic influenza conditions to occur every year, for purposes of the PRA, we estimate that each of these firms will notify FDA approximately once each year, and that each notification will take approximately 8 hours to prepare and submit.

Concerning the recommendation in the guidance that firms unable to fulfill normal adverse event reporting requirements maintain documentation of the conditions that prevent them from meeting these requirements and also maintain records to identify what adverse event reports have been stored and when the reporting process is restored, we estimate that approximately 500 firms will each need approximately 8 hours to maintain the documentation and that approximately 500 firms will each need approximately 8 hours to maintain the records. Therefore, the total recordkeeping burden that would result from the draft guidance would be 258,000 hours.

FDA estimates the burden of this collection of information as follows:

Table 1.--Estimated Annual Reporting Burden1


Number of Respondents

Number of Responses per Respondent

Total Responses

Hours per Response

Total Hours

Notify FDA when normal reporting is not feasible

500

1

500

8

4,000

TOTAL

4,000

1 There are no capital costs or operating and maintenance costs associated with this information collection.



Table 2.--Estimated Recordkeeping Burden1


Number of Record-keepers

Number of Records per Recordkeeper

Total Records

Hours per Record

Total Hours

One-time — add adverse event reporting plan to COOP

5,000

1

5,000

50

250,000

Maintain documentation of influenza pandemic conditions and resultant high absenteeism

500

1

500

8

4,000

Maintain records to identify what reports have been stored and when the reporting process was restored

500

1

500

8

4,000

TOTAL

258,000

1 There are no capital costs or operating and maintenance costs associated with this information collection.

12B. Estimates of Costs

There are one-time labor costs associated with preparing and adding to the COOP a plan for reporting pandemic influenza adverse events. Assuming a loaded wage rate of approximately $85 per hour (averaged from wages for upper management, middle management, and clerical support, plus overhead and personnel benefits), we estimate the one-time costs to be approximately $21,250,000.

There are labor costs associated with maintaining records and notifying FDA of the plan activation and deactivation. Assuming a loaded wage rate of approximately $85 per hour), we estimate these costs to be approximately $1,020,000.


Type of Respondent

Total Burden Hours

Hourly Wage Rate

Total Respondent Costs

Pharmaceutical industry average wage grade for preparing, submitting, and maintaining this information collection

262,000

$85.00

$22,270,000

Total

$22,270,000


13. Estimates of Other Total Annual Cost Burden to Respondents and Recordkeepers

We do not anticipate any other costs, including capital costs or operating and maintenance costs, resulting from the information collection in the guidance.


14. Annualized Cost to the Federal Government

There are 500 total annual responses that may result from this guidance (see table above). FDA estimates that, on average, it would take full-time employees (FTEs) approximately 30 minutes to review each submission. Based on a wage rate of approximately $ 48.00 per hour, we estimate that the Federal costs would be approximately $ 12,000.


15. Explanation for Program Changes or Adjustments
This is a new collection.


16. Plans for Tabulation and Publication and Project Time Schedule
There are no publications.


17. Reason(s) Display of OMB Expiration Date is Inappropriate

The Agency is not seeking not to display the expiration date for OMB approval of the information collection.


18. Exceptions to Certification for Paperwork Reduction Act Submissions

There are no exceptions to the certification statement identified in Item 19, “Certification for Paperwork Reduction Act Submission,” of OMB Form 83-I.



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File Typeapplication/msword
File Title[Insert Title of Information Collection]
AuthorJonna Capezzuto
Last Modified Byeberbako
File Modified2011-07-21
File Created2011-07-21

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