Principles and Practice of Pharmaceutical Medicine

(Elle) #1
in Japan. However, the clinical development of
a foreign drug has to be duplicated in Japan
from phase I to phase III, because of potential
genetic differences, diet and medical practice
differences. Key data in the NDA are Japanese
data; the foreign clinical data package is only
considered as complementary information,
only used when safety issues are raised during
the approval process.
Some clinical pharmacology studies only can
be accepted as key data, such as drug interaction
studies or kinetic studies in renal or hepatic
insufficiency. The topic ‘Ethnic factors in foreign
data acceptability’ (E5) was passed in 1998 in
Japan and ended after six years of discussions; it
is now recognized that cultural factors are far
more important than genetic differences (ICH 2
Proceedings, 1993; ICH 3 Proceedings, 1995).
This allows for a regulated mutual recognition of
clinical data, which should significantly reduce
the number of useless duplications of clinical
studies and consequently save development
resources (see Chapter 18).


  1. The import of a foreign study drug is strictly
    regulated: imported amount of bulk and/or
    pharmaceutical form should be clearly justified
    and limited to the exact quantity necessary for
    the development. When a clinical trial protocol
    is available, a copy has to be submitted for
    approval by a customs officer with a Drug
    Import Report Slip (Form 12) and a copy of
    the invoice. When the protocol is not available,
    a certificate from the Inspection and Guidance
    Division must be obtained after submission of
    the following documentation: an Import Report
    Form (Form 1), a Drug Import Report Slip
    (Form 13), a Memorandum (Form 2), a proto-
    col outline, a Memorandum stating that the
    protocol will be submitted within three months
    and a copy of the Drug Import business license.
    The labeling of the study drug should men-
    tion, on the drug packaging, container or wrap-
    per, the fact that the drug is for study purposes,
    the name and address of the institution, the
    chemical name or symbol, the manufacturing
    code number, storage instructions and expiry
    date.


The anticipated brand name, indications or
effects, and directions for use and doses of the
trial drug should not be mentioned on the drug
container or wrapper or on any document
attached to the trial drug.

35.5 New drug approval process


Content of the New Drug
Application (NDA)

Once the clinical development is completed, four to
sixmonths arenecessary topreparethepresentation
of the NDA, which should be as perfect as possible.
ThecontentoftheNDAisdefinedbythenotification
of April 1999, ‘Approval Application for Drugs’.
The ICH agreement induced several revisions in
July2001andJune2003,todescribethepreparation
of the CTD, enforced in April 2005.

Module I: Regulatory information such as applica-
tion forms and information on attached documen-
tation. Module 1 is region specific.


  1. Table of content.

  2. Approval application (copy).

  3. Certificates.

  4. Patent situation in Japan and abroad.

  5. Background of origin, discovery and devel-
    opment.

  6. Data related to conditions of use in foreign
    countries.

  7. List of related products. Comparison of the
    main characteristics of the drug with those of
    similar drugs already registered in Japan.

  8. Draft Package Insert.

  9. International Non-proprietary Name (INN)
    and Japanese Accepted Name (JAN) publi-
    cations.


502 CH35 JAPANESE REGULATIONS

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