Overview of comments received on the draft 'Information in the package leaflet for fructose and sorbitol' (EMA/CHMP/460886/2014)

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Transcription:

9 October 2017 EMA/CHMP/581887/2016 Committee for Medicinal Products for Human Use (CHMP) Overview of comments received on the draft 'Information in the package leaflet for and sorbitol' (EMA/CHMP/460886/2014) Interested parties (organisations or individuals) that commented on the draft document as released for consultation. Stakeholder no. Name of organisation or individual 1 Teva Pharmaceuticals Ltd 2 Novartis Pharma AG 3 Medicines Evaluation Board in The Netherlands (MEB) 4 F. Hoffmann-La Roche Ltd 5 AESGP 30 Churchill Place Canary Wharf London E14 5EU United Kingdom Telephone +44 (0)20 3660 6000 Facsimile +44 (0)20 3660 5555 Send a question via our website www.ema.europa.eu/contact An agency of the European Union European Medicines Agency, 2017. Reproduction is authorised provided the source is acknowledged.

1. General comments overview Stakeholder no. General comment Outcome (if applicable) 2 Novartis appreciates to comment on this draft information. For Sorbitol E420: The current warning statements in the excipients guidance specifically state the concerned routes of administration, Oral or Parenteral. Accepted. All routes replaced by oral and parenteral (for both and sorbitol). The new proposed statement wording includes a section for all route of administration, which should be reconsidered for topical Ophthalmic products. It should be clearly stated that the routes of administration relevant to the extra warning statement or exclude specifically topical administration. Rationale: 1. Topical ophthalmic products are administrated for local actions only. And for Sorbitol in these medicinal products to have a systemic effect is considered minimal. 2. Based on most posology for ophthalmic products, the amount of Sorbitol administered topically is very low. 3. It is frequently difficult to calculate the exact amount mg per volume/dosage as outlined in the warning statement proposal for Ophthalmic products. Therefore it would be difficult to implement a relevant/meaningful wording to benefit patients. 3 The MEB has no comments Noted. 4 The efforts to update the current excipients guideline are appreciated, and proposed revisions are welcomed. This guideline should be updated as new Noted. EMA/CHMP/581887/2016 Page 2/9

Stakeholder no. General comment Outcome (if applicable) evidence suggests the need for update. 4 It is to assume that the proposed updates will be incorporated in the existing guideline. This would result in differences in terms of terminology used for the same condition (e.g., genetic and inborn) or different level of details (which could be perceived as more details are needed for those excipients requiring more attention, in fact it is not necessarily the case, e.g. vs. sucrose where sucrose is hydrolysed into glucose and ; aspartame vs. phenylalanine; or benzyl benzoate vs. benzoic acid/benzoates). 4 It is recommended to include a general requirement in the guideline that the quantity of the excipients per dose unit should be included for cases where toxicity depends on quantity of the excipient. Accepted. All the statements have been harmonised. The comment refers to the main text of the guideline and is not specific to /Sorbitol. See guideline on EC website. Wording proposal could be as follows: This medicine contains xx mg <excipient> in each <volume/dosage unit> EMA/CHMP/581887/2016 Page 3/9

2. Specific comments on text 6 (general) 6 (oral medicines) 1 Comments: When a threshold is based on bodyweight of a patient, a table has to be added to the excipients guideline, connecting bodyweight and age. Which growth standard should be taken as a reference to evaluate the body weight of a child e.g. at the age of 12 years? The WHO weight-for-age reference data only cover the age group 0-10 years but not adolescents. Furthermore, what can be considered as the standard weight (1 st centile, 3 rd centile or 50 th centile, boy, girl)? 1 Comments: We propose a threshold of zero for oral formulations. From our point of view, the doctor or pharmacist is the person who should decide whether a patient HFI can take the medicine. Therefore the threshold of 5 mg /kg/day should be stated in the SmPC as important information for the doctor and pharmacist. A threshold dependent on bodyweight is difficult to handle for oral medicines, as posology is often age-related and not always based on bodyweight. The decision to include the warning might be different from MAH to MAH although the content is the same. This leads to confusion for patients, pharmacists and doctors. The comment is valid, especially for vaccines or other products indicated in children and not dosed per body weight. In that case it is not precise how to judge whether a mg/kg threshold applies for a certain product. However, this issue should be discussed on a case by case basis between companies and the Agency during the authorisation process. It is therefore not considered necessary to add a specific table for reference. Threshold zero for oral (deletion of 5 mg/kg threshold) would merge warnings and comments on IV and oral which is not adequate, since the intention was to strengthen especially the IV warning. - 5 Proposed change: EMA/CHMP/581887/2016 Page 4/9

Oral (formulation s in contact teeth, e.g. liquids, lozenges and chewable tablets) (parenteral [other than IV]): Zero A threshold could be based on food law principles (e.g. low in sugars is <5g sugar per 100g in EU, so >5g/100g or 2.5ml/100ml, or >5g/2.5ml daily exposure could be used to ensure only products that add a significant level of to the daily diet carry this warning). Comment and rationale: Re-phrasing along these lines is more proportional, and makes it clear that /sugar risks are not heightened vs. normal foods containing sugar. 5 Proposed change: May be harmful to the teeth chronic use, e.g. for two weeks or more. Each dose/ampoule/lozenge/chewable tablet contains XXmg. It is important to maintain good dental hygiene as you normally would to reduce the risks of tooth decay chronic use, e.g. 2 weeks or more. Comment and rationale: Re-phrasing along these lines is more proportional, and makes it clear that /sugar risks are not heightened vs. normal foods containing sugar. 1 Comments: We agree the rationale, but a table as stated above has to be added to the excipients guideline. Although the argument is valid, the risk of /sorbitol from formulations in contact teeth was not under the scope of the review. Therefore, the threshold and the labelling are kept as they were before. See above. The rationale for changing the threshold from 5 mg/kg to zero for oral is unclear, so the threshold has not been changed. See comment above. EMA/CHMP/581887/2016 Page 5/9

Additionally, the threshold of 5 mg /kg/day should be stated in the SmPC as important information for the prescribing doctor. Generally, it is not intended to state thresholds in the SmPC. Proposed change: Name Route of Adminis tration Fruc tose Oral (all formulati ons) Parenter al (other than IV) Parenter al (other than IV) Threshold* 5 Zero 5 Information for the Package Leaflet If you have been told by your doctor that you have an intolerance to some sugars or if you have been diagnosed intolerance, an inborn disorder in which a person lacks the protein needed to break down, contact your doctor or pharmacist before taking/ you are given this medicine. If you have been told by your doctor that you have an intolerance to some sugars or if you have been diagnosed Comments SmPC proposal: Patients intolerance (HFI) should not take/be medicinal product, when a threshold of 5 is exceeded. SmPC proposal: Patients intolerance (HFI) should not EMA/CHMP/581887/2016 Page 6/9

Page 5 4 Comments: intolerance, an inborn disorder in which a person lacks the protein needed to break down, contact your doctor before taking/ you are medicine. take/be medicinal product, when a threshold of 5 is exceeded. Accepted. Table Page 5 Table row 2 Same for sorbitol, page 6, table, row 3 Page 5 Table row 6 Same for sorbitol, Potential inconsistent wording between and sucrose will be introduced by incorporating the revisions into the existing guideline. The wording for sucrose is to be adapted. 4 Comments: For medicines indicated only or also for use in children, the labeling text needs to be revised to reflect this aspect. Proposed change: If you (or your child) have intolerance (HFI), a rare generic condition, you (or your child) should not take/receive this medicine 4 Comments: For medicines indicated only or also for use in children, the labeling text needs to be revised to reflect this aspect It is intended to harmonise the wordings. Accepted. Accepted. EMA/CHMP/581887/2016 Page 7/9

page 6, table, row 7 Proposed change: If you (or your child) have been told by the doctor that you (or your child) have an intolerance to some sugars, or if you have been diagnosed in intolerance. Contact your doctor before taking/receiving be medicinal product. Sorbitol 1 Proposed change: Name Sorbi tol E420 Route of Administr ation Oral (all formulations) Parenteral (other than IV) Threshold* Information for the Package Leaflet 5 Zero If you have been told by your doctor that you have an intolerance to some sugars or if you have been diagnosed intolerance, an inborn disorder in which a person lacks the protein needed to break down, contact your doctor before taking/ you Comments SmPC proposal: Patients intolerance (HFI) should not take/be medicinal product, when a threshold of 5 is exceeded. As above for EMA/CHMP/581887/2016 Page 8/9

are medicine. Parenteral (other than IV) 5 Oral 140 If you have been told by your doctor that you have an intolerance to some sugars or if you have been diagnosed intolerance, an inborn disorder in which a person lacks the protein needed to break down, contact your doctor before taking/ you are medicine. May cause gastrointestinal discomfort and mild laxative effect. SmPC proposal: Patients intolerance (HFI) should not take/be medicinal product, when a threshold of 5 is exceeded. EMA/CHMP/581887/2016 Page 9/9