AB Science announces that Health Canada has issued a Notice of
Non-Compliance-Withdrawal (NON/w) for masitinib in ALS
PRESS RELEASE
AB SCIENCE ANNOUNCES THAT HEALTH CANADA
HAS ISSUED A NOTICE OF NON-COMPLIANCE-WITHDRAWAL (NON/w) FOR
MASITINIB IN AMYOTROPHIC LATERAL SCLEROSIS
AB SCIENCE INTENDS TO SUBMIT A REQUEST
FOR RECONSIDERATION
Paris, 26 February, 2024, 6.15pm
CET
AB Science SA (Euronext -
FR0010557264 - AB) today announces that Health Canada has issued a
Notice of Non-Compliance-Withdrawal (NON/w) regarding its New Drug
Submission (NDS) for masitinib in the treatment of amyotrophic
lateral sclerosis (ALS).
Health Canada stated that a Request for
Reconsideration can be filed within 30 days of receiving the
NON/w.
AB Science intends to submit a Request for
Reconsideration. The reconsideration process will re-examine, with
new assessors, the decision based on information that was included
in the original submission. During this process, the applicant may
be given an opportunity to be heard for the first time by a panel
of experts. The reconsideration process could take up to 6
months.
The key major clinical concerns considered
unresolved at the end of the procedure and the rationale for
reconsideration are as follows:
1) Multiple amendments
have been made that create uncertainty of the reliability of the
study data
A request for reconsideration could be filed on the basis of the
following points:
The Agency recognized that:
- Changing the status of a study from
phase 2 to phase 3 may not be uncommon, especially in rare or
terminal diseases.
- Multiple amendments may be an
inevitable situation in some studies, including for strategic
reasons, and that the number of amendments (3) made for study
AB10015 are in line with the average number of amendments (3.3 per
protocol) highlighted in a recent Tufts Center for the Study of
Drug Development report [1].
- Amendments of study AB10015 were
not data-driven.
- Study AB10015 had broad inclusion
criteria with a heterogenous population, and the Agency did not
dispute the need to limit heterogeneity.
- Post-onset decline of 1.1 point per
month may be a relevant prognostic factor and therefore the
distinction between Normal and Fast progressors may be less
arbitrary than initially considered.
However, the Agency considered that amendments have been made
late and were not sufficiently justified. Counterarguments to this
could include:
- The distinction between Normal and
Fast progressors was made in an entirely blinded and sufficiently
prospective manner, in terms of timing (2.5 years prior to
unblinding) and in terms of data accrual (12% of the enrolled
patients who could have reached the study’s primary analysis
timepoint, meaning 88% of the data remained to be acquired and only
8 Fast progressor patients, across 3 treatment arms, could have
reached the study’s primary analysis timepoint).
- Excluding Fast progressor patients
from the primary analysis was adequately justified for the reasons
of limiting missing data, as recommended by relevant guidelines. An
expectation of there being a high discontinuation rate for Fast
progressor patients at the study’s primary analysis timepoint of 48
weeks was confirmed with a discontinuation rate of over 50% versus
25% for Normal progressor patients. This amendment was also
adequately implemented, being a decision from the study’s principal
coordinator and steering committee that was validated by all
agencies, including Health Canada, in a context of a pivotal
study.
2) Missing data have been
treated in the planned primary and sensitivity analyses with LOCF
(last observation carried forward) imputation method, potentially
creating a bias in favor of treatment
A request for reconsideration could be filed on
the basis of the following points:
The Agency recognized that the concern about the
non-linearity of the distribution of the ALSFRS-R data set used for
the test of the primary analysis (ANCOVA test) was resolved by the
positive pre-specified rerandomization test, which does not make
assumptions about the normality of the data distribution.
However, the Agency considered that the LOCF
method used for imputation of missing data could potentially bias
results in favor of masitinib. Counterarguments to this could
include:
- Various sensitivity analyses, not
based on LOCF method and requested by agencies, were performed
using different recognized methodologies for imputing missing data,
including multiple imputation (p=0.020), the most conservative
jump-to reference (JTR) analysis (p=0.039), and copy of increment
(CIR) analysis (p=0.0477), all pointing toward the superiority of
masitinib.
- The predefined Progression Free
Survival (PFS) endpoint, which is not affected by LOCF methodology,
was significantly increased by 4 months.
- The non-parametric Combined
Assessment of Function and Survival (CAFS) endpoint, incorrectly
assumed by the Agency to be based on LOCF methodology, whereas it
is not, approached the conventionally statistically significant
outcome of 5% (p=0.0776), even though the study was not powered for
this secondary endpoint.
- AB Science provided a
methodologically justified new claim “patients with ALS prior to
any loss of function”, where CAFS and Overall Survival (OS) are
significantly improved.
3) New proposed claim, a
subgroup called “patients with ALS prior to loss of function” which
shows a significant gain in OS and CAFS is considered post hoc
A request for reconsideration could be filed on
the basis of the following points:
AB Science proposed a reduced claim “patients
with ALS prior to any loss of function”, this reduced claim being
justified by the strict application of EMA guidance
(EMA/CHMP/539146/2013) on the investigation of subgroups in
confirmatory clinical trials.
While the Agency recognized that this claim may
be logical and in line with ALS guidelines recommending selecting
ALS patients as early as possible, they also considered that this
EMA guidance was only applicable for pre-specified subgroups. A
counterargument to this opinion, in favor of it being applicable to
AB10015, is that this EMA guidance states that “it might be of
interest to identify a subgroup that has not been pre-specified as
part of the confirmatory testing strategy, where efficacy and
risk-benefit would be convincing”.
In this claim, the treatment effect is
exceptionally strong, with a significant CAFS (p= 0.0290) and
significant long-term median OS benefit of +10 months (p=0.0395),
and +22 months (p=0.0192) when placebo-treated patients who
switched to masitinib during the extension period are censored at
the time of the switch.
The Agency also considered that OS could have
been biased by confounding factors. A counterargument to this could
be that OS is the gold standard endpoint in ALS and is unbiased
regardless of post study treatments because no drug has
demonstrated OS benefit (except riluzole which was available to all
patients) and because all patients had the same possibility to
benefit from tracheostomy or permanent or non-permanent
ventilation.
Based on the supporting arguments and
counterarguments outlined above, AB Science intends to submit a
Request for Reconsideration. Other points of concern identified by
the agency will also be responded to.
Reference
[1] Getz K. , Smith Z. , Botto E. , Murphy E. ,
& Dauchy A.. New benchmarks on protocol amendment practices,
trends and their impact on clinical trial performance. 2023.
https://doi.org/10.21203/rs.3.rs-3168679/v1
About AB Science
Founded in 2001, AB Science is a pharmaceutical company
specializing in the research, development and commercialization of
protein kinase inhibitors (PKIs), a class of targeted proteins
whose action are key in signaling pathways within cells. Our
programs target only diseases with high unmet medical needs, often
lethal with short term survival or rare or refractory to previous
line of treatment.
AB Science has developed a proprietary portfolio of molecules and
the Company’s lead compound, masitinib, has already been registered
for veterinary medicine and is developed in human medicine in
oncology, neurological diseases, inflammatory diseases and viral
diseases. The company is headquartered in Paris, France, and listed
on Euronext Paris (ticker: AB).
Further information is available on AB Science’s
website:
www.ab-science.com.
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- CP Health Canada Reconsideration VEng VF
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