2021
DOI: 10.3389/fped.2021.698611
|View full text |Cite
|
Sign up to set email alerts
|

Regulatory Considerations for the Mother, Fetus and Neonate in Fetal Pharmacology Modeling

Abstract: The regulatory framework for considering the fetal effects of new drugs is limited. This is partially due to the fact that pediatric regulations (21 CFR subpart D) do not apply to the fetus, and only US Health and Human Service (HHS) regulations apply to the fetus. The HHS regulation 45 CFR Part 46 Subpart B limits research approvable by an institutional review board to research where the risk to the fetus is minimal unless the research holds out the prospect of a direct benefit to the fetus or the pregnant wo… Show more

Help me understand this report

Search citation statements

Order By: Relevance

Paper Sections

Select...
2
1
1
1

Citation Types

0
21
0

Year Published

2021
2021
2024
2024

Publication Types

Select...
7

Relationship

1
6

Authors

Journals

citations
Cited by 13 publications
(21 citation statements)
references
References 25 publications
0
21
0
Order By: Relevance
“…While pregnant women have historically been excluded from clinical trials, the lack of drug studies in pregnant women has been recognized as a major health issue (76). There seems to be a slow paradigm shift arguing in favor of the inclusion of pregnant women in clinical research (77)(78)(79) which is also, at least to some extent, reflected by recent guidance documents from the US Food and Drug Administration (FDA) (7). Hence, it can be expected that more clinical data in pregnant women will be generated within the next years.…”
Section: Discussionmentioning
confidence: 99%
See 2 more Smart Citations
“…While pregnant women have historically been excluded from clinical trials, the lack of drug studies in pregnant women has been recognized as a major health issue (76). There seems to be a slow paradigm shift arguing in favor of the inclusion of pregnant women in clinical research (77)(78)(79) which is also, at least to some extent, reflected by recent guidance documents from the US Food and Drug Administration (FDA) (7). Hence, it can be expected that more clinical data in pregnant women will be generated within the next years.…”
Section: Discussionmentioning
confidence: 99%
“…Of note, f water _ pls , f water _ int and the ratio were assumed to be the same as in the adult organism, namely 0.926 ( 22 ), 0.935 ( 22 ), and 0.37 ( 23 ), respectively. Inserting Equation ( 6 ) into Equation ( 3 ) yields Equation ( 7 ) which was used in the updated maternal-fetal PBPK model.…”
Section: Methodsmentioning
confidence: 99%
See 1 more Smart Citation
“…However, regulations to study medicines in pregnant women and their fetuses remain limited. 4 The United States Congress passed the Best Pharmaceuticals for Children Act (BPCA) in 2002 and the Pediatric Research Equity Act (PREA) in 2003 to help promote the study of medicines in children. 5,6 The BPCA is a voluntary program to incentivize the completion of pediatric clinical trials by providing additional marketing exclusivity to drug developers.…”
Section: Regulatory Frameworkmentioning
confidence: 99%
“…Physiologically based pharmacokinetic (PBPK) modeling serves as a critical pharmacometrics tool to make reliable pharmacokinetic predictions in special populations. The number of new drug application submissions to the US Food and Drug Administration (FDA) that included PBPK modeling for pediatric drug development has continued to grow over the past decade ( Corriol-Rohou and Cheung, 2019 ) and the role of PBPK modeling for pregnant women in a regulatory context has been discussed recently ( Coppola et al, 2021 ; Green et al, 2021 ). Since PBPK is a mechanism-based modeling method, the combined effects of multiple gestation-related physiological changes on drug disposition can be incorporated.…”
Section: Introductionmentioning
confidence: 99%