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Submitted by:Alexa Jacob
1st yr M.pharm
(pharmaceutics)
St.joseph’s college of
pharmacy,cherthala
HATCH-WAXMAN ACT &
AMENDMENTS
1
CONTENTS
 INTRODUCTION
 OBJECTIVES OF THE ACT
 DRUG APPROVAL
 NEW BRANDED DRUG APPROVAL
 GENERIC DRUG APPROVAL
 NEW DRUG EXCLUSIVITY
 CHALLENGING PATENT EXCLUSIVITIES
 PARAGRAPH IV CERTIFICATIONS
 SECTION VIII STATEMENTS
 ANDA EXCLUSIVITY
 PATENT TERM EXTENSION
 PATENT LITIGATION UNDER HATCH-WAXMAN ACT
 BENEFITS FOR BRANDED MANUFACTURERS
 CONCLUSION
2
INTRODUCTION
 Also known as “THE DRUG PRICE COMPETITION
AND PATENT TERM RESTORATION ACT”
 Enacted in 1984
 Amended the patent laws
 Before 1962- new drug approval based on safety alone
 In 1962-proof of efficacy made compulsary for marketting
approval of a new drug
 There was no provision for patent term extension prior to
enactment of the hatch-waxman act to make up for the time
lost out of the total patent term during the marketting
approval process
3
 Generic companies were required to submit their own
comprehensive NDA which were costly & time
consuming.
 To overcome the above problems, an act was needed to
promote generic companies.
4
OBJECTIVES OF THE ACT
 Reducing the cost associated with the approval of a
generic drug
 Allowing early-experimental use
 Compensating the branded drugs manufacturers for the
time lost from the patent term because of the regulatory
approval formality
 Motivating the generic drug manufacturers.
5
DRUG APPROVAL
 The FDA requires every new drug, including generic drugs,
to be safe and effective.
 Before the adoption of the Hatch- Waxman Act, the FDA
required branded and generic drug companies alike to
demonstrate the safety and efficacy of their products in the
same manner through a New Drug Application (NDA) .
6
7
 The Hatch-Waxman Act changed certain aspects of the
new drug application process and the new drug’s patent
term.
 In addition, the Hatch-Waxman Act created an
abbreviated process to allow generic drug companies to
obtain FDA approval of generic drugs. Because of this,
today it is far easier for generic drug companies to
demonstrate the safety and efficacy of their generic drugs.
NEW BRANDED DRUG
APPROVAL
 A branded drug company seeking FDA approval to market a
new drug must submit an NDA to the FDA. The information
provided in the NDA allows the FDA to determine whether:
1)The new drug is both safe and effective.
2)Certain other regulatory requirements are met, such as
those concerning labeling and good manufacturing
processes.
 Obtaining and submitting this information frequently is a
time-consuming process requiring the branded drug
company to conduct many extensive and expensive clinical
trials.
8
GENERIC DRUG APPROVAL
 The FDA reviews generic drug applications for compliance
with the appropriate scientific and regulatory criteria. If an
application meets those criteria, the FDA may grant either:
a) Tentative approval
b) Final approval
 Under the Hatch-Waxman Act, generic drug companies can
typically file one of two different kinds of abbreviated
applications for approval of a generic drug:
a)An Abbreviated New Drug Application (ANDA)
b)A Section 505(b)(2) application, which is often called a
paper NDA
9
a)Abbreviated New Drug Applications
(ANDA)
 Under an ANDA, a generic drug company must establish
that the generic drug is effectively a duplicate of the
branded, NDA drug, which is referred to as the Reference
Listed Drug (RLD). Specifically, the generic drug company
must show that the proposed generic drug:
a)Has the same active ingredient, route of administration,
dosage form, strength and intended use as the RLD.
b) Is bioequivalent with the RLD, so that it performs in the
same manner as the RLD in the body.
10
b)Section 505(b)(2) Applications
 A proposed generic drug may differ in significant ways
from the RLD,
 Under these circumstances, the proposed generic drug
must be approved through the Section 505(b)(2) paper
NDA application process, which is a hybrid of a full NDA
and an ANDA. This application includes less data than an
NDA but more data than an ANDA.
11
NEW DRUG EXCLUSIVITY
A)Non-patent Exclusivities
 (1) .Orphan drug exclusivity, which is granted to drugs:
a)that treat a disease or condition that affects less than
200,000 people in the US; or
b)for which it is unlikely that US sales of the drug will
recoup its development costs.
This exclusivity period is seven years, but only applies to
use in treating the specific rare disease or condition
12
 (2) New chemical entity (NCE) exclusivity.
 This is granted if the FDA has not previously approved the
“active drug moiety.”
 NCE exclusivity bars a generic drug company from filing
an application for approval of a generic drug five years from
the first approval of the relevant NDA.
 However, a generic drug company may file an ANDA with a
Paragraph IV certification four years after the first NDA
approval
13
 (3)New clinical study exclusivity.
 This applies when new clinical studies lead to new or
changed formulations, dosing regimens or patient
population.
 The applicant is entitled to this exclusivity if an application
or supplement contains reports of new clinical investigations
conducted or sponsored by the applicant that were essential
for approval.
 This exclusivity, sometimes called data exclusivity, prohibits
the FDA from approving a generic drug application for the
new dosage form or use for three years after the first NDA
approval.
 However, it does not otherwise bar approval of generic drug
applications
14
 (4)Pediatric exclusivity.
 This applies if the FDA requested that the NDA holder
conduct studies with the drug in pediatric populations.
 Pediatric exclusivity adds six months of exclusivity to any
marketing or patent exclusivity.
15
NON PATENT EXCLUSIVITY
Types Term
New chemical entity
exclusivity
5 years
New clinical study
exclusivity
3 years
Orphan drug exclusivity 7 years
Pediatric exclusivity 6 months
180 day generic market
exclusivity
180 days
16
B) Patent exclusivity & the orange book
 An NDA holder must provide the FDA with the patent
number and expiration date of any patent that claims either:
a)The drug, including the active ingredient and the
formulation for the active ingredient.
b)A method of using the drug, but not other inventions such
as:
;-metabolites;
;-synthetic intermediates; or
;-methods of making the drug.
17
18
 When the FDA approves the NDA, the FDA publishes
the patent information in the FDA’s Approved Drug
Products with Therapeutic Equivalence Determinations
publication (also called the Orange book)
CHALLENGING PATENT
EXCLUSIVITY
 A generic drug company submitting either an ANDA or a
Section 505(b)(2) application must make one of the
following four certifications as to each patent listed in the
Orange Book for an RLD:
a)Paragraph I certification that no relevant patent is listed in
the Orange Book.
b)Paragraph II certification that the listed patent has expired.
19
20
c)Paragraph III certification that the listed patent, plus any
other exclusivity, will expire before the requested
approval.
d)Paragraph IV certification that the listed patent is invalid
or will not be infringed by the commercialization of the
generic drug
 PARAGRAPH IV
CERTIFICATION
 A Paragraph IV certification is a potential trigger for
Hatch- Waxman Act patent litigation because the filing of
an application with that certification is a statutory act of
patent infringement
 A generic drug applicant making a Paragraph IV
certification must provide a Notice Letter to the NDA
holder and the patentee, if different from the NDA holder,
setting out:
a)The existence of the ANDA.
b)A detailed statement of its basis for believing that the
listed patents are invalid or not infringed.
21
SECTION VIII STATEMENTS
 A Section viii Statement, in contrast, ordinarily is not a
trigger for patent litigation.
 Typically, the generic drug applicant attempts to remove
from its label, or carve-out, anything related to the patented
method in the RLD’s label.
22
23
 As a result, there is no certification or notice requirement.
Generic drug companies may use the same procedure to
avoid the three-year new clinical study exclusivity by
carving out the information that relates to the clinical trials
and relevant approval.
 . The FDA will approve these so-called skinny labels if it
does not make the proposed drug less safe or effective than
the listed drug for all remaining, non-protected conditions of
use .
ANDA EXCLUSIVITY
 The first filer of an ANDA with a Paragraph IV
certification concerning an RLD is potentially entitled to a
180-day period during which the FDA will not approve any
other ANDA having a Paragraph IV certification for a
generic version of the RLD. However, the first filer may
forfeit this exclusivity
 First-filer exclusivity blocks final approval of other
ANDAs with Paragraph IV certifications for 180 days.
However, first-filer exclusivity does not apply against an
applicant who has filed a Section viii Statement because it
is not a Paragraph IV certification.
24
PATENT TERM EXTENSION
 The Hatch-Waxman Act provides a patent term extension
for patents covering certain products and methods,
including human drug products, that are subject to FDA
approval. Only one extension can be granted in connection
with a particular product, and it must be for a patent that
claims either a:
a)Drug product, which means the active ingredient and any
approved drug using that active ingredient.
b)Method of using a drug product.
c)Method of manufacturing a drug product
25
PATENT LITIGATION UNDER THE HATCH-
WAXMAN ACT
 Various time periods concerning aspects of the litigation
that may affect the FDA’s approval process
 Certain defenses and counterclaims that drug companies
may raise
 Specific remedies the parties tend to seek
 Unique challenges in entering into settlement agreements
26
 The generic drug applicant cannot file a declaratory
judgment action against the NDA holder for 45 days after the
date of the Notice Letter (45- day period) .
 If the patentee sues within the 45-day period, the FDA may
not grant final approval of the generic application for 30
months from the NDA holder and patentee’s receipt of the
Notice Letter (30-month stay).
 The court may shorten or lengthen the 30-month stay period
in a pending patent case if either party fails to reasonably
cooperate in expediting the case. The 30-month stay
terminates if a court issues a final order determining that the
patent is invalid, unenforceable or not infringed
27
BENEFITS FOR BRANDED
MANUFACTURERS
 Orange book provides public notice of patents.
 Allows for resolution of patent disputes prior to generic
entry.
 30-months stay of FDA approval of generic drugs
 Patent term restoration
 Allows for several market exclusivities:
a)Data exclusivity
(1) 5 years for new chemical entity exclusivity
(2) 3 years for new clinical study exclusivity
b)Orphan drug ( 7 years)
c)Pediatric(PEDS) (6 months)
28
CONCLUSION
 The hatch-waxman act provides an expedited USFDA
program for speedy generic entry and market exclusivity
 The hatch-waxman act allows for a patent term extension of
a maximum of 5 years for the branded drug manufacturer to
compensate for the time lost during the NDA approval by
the USFDA.
29
THANKYOU
…
30

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Hatch waxman act & amendments ppt

  • 1. Submitted by:Alexa Jacob 1st yr M.pharm (pharmaceutics) St.joseph’s college of pharmacy,cherthala HATCH-WAXMAN ACT & AMENDMENTS 1
  • 2. CONTENTS  INTRODUCTION  OBJECTIVES OF THE ACT  DRUG APPROVAL  NEW BRANDED DRUG APPROVAL  GENERIC DRUG APPROVAL  NEW DRUG EXCLUSIVITY  CHALLENGING PATENT EXCLUSIVITIES  PARAGRAPH IV CERTIFICATIONS  SECTION VIII STATEMENTS  ANDA EXCLUSIVITY  PATENT TERM EXTENSION  PATENT LITIGATION UNDER HATCH-WAXMAN ACT  BENEFITS FOR BRANDED MANUFACTURERS  CONCLUSION 2
  • 3. INTRODUCTION  Also known as “THE DRUG PRICE COMPETITION AND PATENT TERM RESTORATION ACT”  Enacted in 1984  Amended the patent laws  Before 1962- new drug approval based on safety alone  In 1962-proof of efficacy made compulsary for marketting approval of a new drug  There was no provision for patent term extension prior to enactment of the hatch-waxman act to make up for the time lost out of the total patent term during the marketting approval process 3
  • 4.  Generic companies were required to submit their own comprehensive NDA which were costly & time consuming.  To overcome the above problems, an act was needed to promote generic companies. 4
  • 5. OBJECTIVES OF THE ACT  Reducing the cost associated with the approval of a generic drug  Allowing early-experimental use  Compensating the branded drugs manufacturers for the time lost from the patent term because of the regulatory approval formality  Motivating the generic drug manufacturers. 5
  • 6. DRUG APPROVAL  The FDA requires every new drug, including generic drugs, to be safe and effective.  Before the adoption of the Hatch- Waxman Act, the FDA required branded and generic drug companies alike to demonstrate the safety and efficacy of their products in the same manner through a New Drug Application (NDA) . 6
  • 7. 7  The Hatch-Waxman Act changed certain aspects of the new drug application process and the new drug’s patent term.  In addition, the Hatch-Waxman Act created an abbreviated process to allow generic drug companies to obtain FDA approval of generic drugs. Because of this, today it is far easier for generic drug companies to demonstrate the safety and efficacy of their generic drugs.
  • 8. NEW BRANDED DRUG APPROVAL  A branded drug company seeking FDA approval to market a new drug must submit an NDA to the FDA. The information provided in the NDA allows the FDA to determine whether: 1)The new drug is both safe and effective. 2)Certain other regulatory requirements are met, such as those concerning labeling and good manufacturing processes.  Obtaining and submitting this information frequently is a time-consuming process requiring the branded drug company to conduct many extensive and expensive clinical trials. 8
  • 9. GENERIC DRUG APPROVAL  The FDA reviews generic drug applications for compliance with the appropriate scientific and regulatory criteria. If an application meets those criteria, the FDA may grant either: a) Tentative approval b) Final approval  Under the Hatch-Waxman Act, generic drug companies can typically file one of two different kinds of abbreviated applications for approval of a generic drug: a)An Abbreviated New Drug Application (ANDA) b)A Section 505(b)(2) application, which is often called a paper NDA 9
  • 10. a)Abbreviated New Drug Applications (ANDA)  Under an ANDA, a generic drug company must establish that the generic drug is effectively a duplicate of the branded, NDA drug, which is referred to as the Reference Listed Drug (RLD). Specifically, the generic drug company must show that the proposed generic drug: a)Has the same active ingredient, route of administration, dosage form, strength and intended use as the RLD. b) Is bioequivalent with the RLD, so that it performs in the same manner as the RLD in the body. 10
  • 11. b)Section 505(b)(2) Applications  A proposed generic drug may differ in significant ways from the RLD,  Under these circumstances, the proposed generic drug must be approved through the Section 505(b)(2) paper NDA application process, which is a hybrid of a full NDA and an ANDA. This application includes less data than an NDA but more data than an ANDA. 11
  • 12. NEW DRUG EXCLUSIVITY A)Non-patent Exclusivities  (1) .Orphan drug exclusivity, which is granted to drugs: a)that treat a disease or condition that affects less than 200,000 people in the US; or b)for which it is unlikely that US sales of the drug will recoup its development costs. This exclusivity period is seven years, but only applies to use in treating the specific rare disease or condition 12
  • 13.  (2) New chemical entity (NCE) exclusivity.  This is granted if the FDA has not previously approved the “active drug moiety.”  NCE exclusivity bars a generic drug company from filing an application for approval of a generic drug five years from the first approval of the relevant NDA.  However, a generic drug company may file an ANDA with a Paragraph IV certification four years after the first NDA approval 13
  • 14.  (3)New clinical study exclusivity.  This applies when new clinical studies lead to new or changed formulations, dosing regimens or patient population.  The applicant is entitled to this exclusivity if an application or supplement contains reports of new clinical investigations conducted or sponsored by the applicant that were essential for approval.  This exclusivity, sometimes called data exclusivity, prohibits the FDA from approving a generic drug application for the new dosage form or use for three years after the first NDA approval.  However, it does not otherwise bar approval of generic drug applications 14
  • 15.  (4)Pediatric exclusivity.  This applies if the FDA requested that the NDA holder conduct studies with the drug in pediatric populations.  Pediatric exclusivity adds six months of exclusivity to any marketing or patent exclusivity. 15
  • 16. NON PATENT EXCLUSIVITY Types Term New chemical entity exclusivity 5 years New clinical study exclusivity 3 years Orphan drug exclusivity 7 years Pediatric exclusivity 6 months 180 day generic market exclusivity 180 days 16
  • 17. B) Patent exclusivity & the orange book  An NDA holder must provide the FDA with the patent number and expiration date of any patent that claims either: a)The drug, including the active ingredient and the formulation for the active ingredient. b)A method of using the drug, but not other inventions such as: ;-metabolites; ;-synthetic intermediates; or ;-methods of making the drug. 17
  • 18. 18  When the FDA approves the NDA, the FDA publishes the patent information in the FDA’s Approved Drug Products with Therapeutic Equivalence Determinations publication (also called the Orange book)
  • 19. CHALLENGING PATENT EXCLUSIVITY  A generic drug company submitting either an ANDA or a Section 505(b)(2) application must make one of the following four certifications as to each patent listed in the Orange Book for an RLD: a)Paragraph I certification that no relevant patent is listed in the Orange Book. b)Paragraph II certification that the listed patent has expired. 19
  • 20. 20 c)Paragraph III certification that the listed patent, plus any other exclusivity, will expire before the requested approval. d)Paragraph IV certification that the listed patent is invalid or will not be infringed by the commercialization of the generic drug
  • 21.  PARAGRAPH IV CERTIFICATION  A Paragraph IV certification is a potential trigger for Hatch- Waxman Act patent litigation because the filing of an application with that certification is a statutory act of patent infringement  A generic drug applicant making a Paragraph IV certification must provide a Notice Letter to the NDA holder and the patentee, if different from the NDA holder, setting out: a)The existence of the ANDA. b)A detailed statement of its basis for believing that the listed patents are invalid or not infringed. 21
  • 22. SECTION VIII STATEMENTS  A Section viii Statement, in contrast, ordinarily is not a trigger for patent litigation.  Typically, the generic drug applicant attempts to remove from its label, or carve-out, anything related to the patented method in the RLD’s label. 22
  • 23. 23  As a result, there is no certification or notice requirement. Generic drug companies may use the same procedure to avoid the three-year new clinical study exclusivity by carving out the information that relates to the clinical trials and relevant approval.  . The FDA will approve these so-called skinny labels if it does not make the proposed drug less safe or effective than the listed drug for all remaining, non-protected conditions of use .
  • 24. ANDA EXCLUSIVITY  The first filer of an ANDA with a Paragraph IV certification concerning an RLD is potentially entitled to a 180-day period during which the FDA will not approve any other ANDA having a Paragraph IV certification for a generic version of the RLD. However, the first filer may forfeit this exclusivity  First-filer exclusivity blocks final approval of other ANDAs with Paragraph IV certifications for 180 days. However, first-filer exclusivity does not apply against an applicant who has filed a Section viii Statement because it is not a Paragraph IV certification. 24
  • 25. PATENT TERM EXTENSION  The Hatch-Waxman Act provides a patent term extension for patents covering certain products and methods, including human drug products, that are subject to FDA approval. Only one extension can be granted in connection with a particular product, and it must be for a patent that claims either a: a)Drug product, which means the active ingredient and any approved drug using that active ingredient. b)Method of using a drug product. c)Method of manufacturing a drug product 25
  • 26. PATENT LITIGATION UNDER THE HATCH- WAXMAN ACT  Various time periods concerning aspects of the litigation that may affect the FDA’s approval process  Certain defenses and counterclaims that drug companies may raise  Specific remedies the parties tend to seek  Unique challenges in entering into settlement agreements 26
  • 27.  The generic drug applicant cannot file a declaratory judgment action against the NDA holder for 45 days after the date of the Notice Letter (45- day period) .  If the patentee sues within the 45-day period, the FDA may not grant final approval of the generic application for 30 months from the NDA holder and patentee’s receipt of the Notice Letter (30-month stay).  The court may shorten or lengthen the 30-month stay period in a pending patent case if either party fails to reasonably cooperate in expediting the case. The 30-month stay terminates if a court issues a final order determining that the patent is invalid, unenforceable or not infringed 27
  • 28. BENEFITS FOR BRANDED MANUFACTURERS  Orange book provides public notice of patents.  Allows for resolution of patent disputes prior to generic entry.  30-months stay of FDA approval of generic drugs  Patent term restoration  Allows for several market exclusivities: a)Data exclusivity (1) 5 years for new chemical entity exclusivity (2) 3 years for new clinical study exclusivity b)Orphan drug ( 7 years) c)Pediatric(PEDS) (6 months) 28
  • 29. CONCLUSION  The hatch-waxman act provides an expedited USFDA program for speedy generic entry and market exclusivity  The hatch-waxman act allows for a patent term extension of a maximum of 5 years for the branded drug manufacturer to compensate for the time lost during the NDA approval by the USFDA. 29