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England and Wales Court of Appeal (Civil Division) Decisions |
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You are here: BAILII >> Databases >> England and Wales Court of Appeal (Civil Division) Decisions >> Servier Laboratories Ltd v National Institute for Health and Clinical Excellence & Anor [2010] EWCA Civ 346 (31 March 2010) URL: http://www.bailii.org/ew/cases/EWCA/Civ/2010/346.html Cite as: [2010] EWCA Civ 346 |
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COURT OF APPEAL (CIVIL DIVISION)
ON APPEAL FROM QBD, ADMINISTRATIVE COURT
MR JUSTICE HOLMAN
CO24692008
Strand, London, WC2A 2LL |
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B e f o r e :
LADY JUSTICE SMITH
and
LORD JUSTICE WILSON
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Servier Laboratories Limited |
Appellant |
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- and - |
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National Institute for Health and Clinical Excellence & Anr |
Respondent |
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WordWave International Limited
A Merrill Communications Company
165 Fleet Street, London EC4A 2DY
Tel No: 020 7404 1400, Fax No: 020 7404 1424
Official Shorthand Writers to the Court)
Michael Beloff QC & Daniel Stilitz (instructed by Messrs Beachcroft) for the Respondent
Hearing date : 17 December 2009
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Crown Copyright ©
Lady Justice Smith:
Introduction
Osteoporosis
NICE's methodology
The factual background and the appraisal process in this case
"…from the efficacy viewpoint, the submitted documentation is considered sufficiently robust to support an indication for treatment of postmenopausal osteoporosis, to reduce the risk of vertebral and hip fractures… For this indication, the demonstrated effect of strontium ranelate 2g/day appears comparable with of bisphosphonates, and the strategy to accept a therapeutic indication based on post hoc analysis of a revised target population of particular medical interest has regulatory precedent in the European licensing of bisphosphonates."
"None of the studies were powered to identify a statistically significant difference in the incidence of fracture at any specific peripheral fracture site, and none reported a significant reduction in hip or wrist fracture in relation to its full intention-to-treat population (see Table 13 and Table 14). Although in the TROPOS study, a significant reduction in hip fracture was seen in the subgroup of women who were aged over 74 and were osteoporotic at study entry (see Table 13), it should again be born (sic) in mind that this is not a true randomised comparison."
"…the study publications did not describe the method of randomisation: as there is therefore no reason to believe that randomisation was stratified taking any of the characteristics into account, none of the subgroup data are known to represent true randomised comparisons".
"The Assessment Group reported the results of a published meta-analysis (that is an analysis combining the results of more than one study) that resulted in a RR for vertebral fracture of 0.60 (95% CI 0.53 to 0.69, two RCTs, n=6551) (the confidence interval or CI showing that the results were statistically significant) and an RR for all non-vertebral fractures including wrist fracture in the whole study population was 0.85 (95% CI 0.61 to 1.19, one RCT, n=4932) (a statistically non-significant result). A post-hoc subgroup analysis in women over 74 years of age with a T-score of -2.4 SD resulted in an RR for hip fracture of 0.64 (95% CI 0.41 to 0.98, one RCT, n=1977)(a statistically significant result)." (My explanations in italics)
At paragraph 4.3.23, the FAD concluded:
"The Committee did not accept the estimate of efficacy for strontium ranelate in preventing hip fracture from the post-hoc subgroup analysis, but accepted the statistically non-significant RR of 0.85 for hip fracture to acknowledge an effect on this important type of fracture. The Committee noted that strontium ranelate was dominated by alendronate (based on the price of £95.03 per year for alendronate); that is strontium ranelate has a greater acquisition cost and is not more efficacious. Therefore, the Committee did not consider strontium ranelate to be cost-effective for the initiation of therapy for the primary prevention of osteoporotic fragility fractures in menopausal women."
"Professor Stevens explained that the reduction in hip fracture rate described with strontium ranelate was only found in a post-hoc analysis of a group of high risk patients that had not been pre-specified. The Appraisal Committee had allowed for this weak evidence by setting the hip fracture rate with strontium ranelate to 0.85."
The decision of Holman J
The appeal to this Court
Adequacy of the Reasons
"From all discussions amongst experts that I have been part of, …. there is no biological plausibility that any of the drugs under appraisal should be more efficacious in older women (in this case women over 74) than in younger women. Furthermore we have never been presented by Servier with data for other age groups. The logical conclusion of the acceptance that strontium ranelate is more effective in the 74+ age group slot is that it is less effective in women who are younger than 74."
"There should be a clear clinical justification and, where appropriate, biological plausibility for the definition of the patient subgroup and the expectation of a differential impact. Ad hoc data mining in search of significant subgroup effects should be avoided. Care should be taken to specify how subgroup analyses were undertaken, including the choice of scale on which effect modification is defined. The precision of all subgroup estimates should be reflected in the analysis of parameter uncertainty. The characteristics of the patients associated with the subgroups presented should be clearly specified to allow the Appraisal Committee to judge the appropriateness of the analysis with regard to the decision problem."
"But what the Claimant fails to notice is that results for the analysis of post-hoc subgroups of randomised trial are not the same as randomised evidence. The point is a very elementary one. A randomised controlled trial may generate high quality data. It does not follow that any subsequent selective manipulation of that data must be of equivalently high quality. The Methods Guide is clear on this even if the Claimant's selective quoting of it is not."
Rationality
Lord Justice Wilson :
Lord Justice Pill:
"In the subgroup analysis of women at higher risk of hip fracture, those aged 74 yr or over and with femoral neck BMD T-score of -3 SD or less, the risk of hip fractures was reduced by 36%. These high-risk patients were defined according to risk factors for hip fracture. Seventy-four years, which was the main age criterion for inclusion in the study was reported to be the age starting from which incidence of hip fracture rises exponentially. This has been confirmed in the placebo group in the pooled data from SOTI and TROPOS studies, which showed that the incidence of hip fracture was 1.1% over 3 yr in patients less than 74 yr old and 4.4% in patients with age 74 yr or older."
"The comprehensive clinical programme, and especially the contribution of data in the elderly and very elderly is acknowledged. From the efficacy viewpoint, the submitted documentation is considered sufficiently robust to support an indication for treatment of postmenopausal osteoporosis, to reduce the risk of vertebral and hip fractures . . ."
"There should be a clear clinical justification and, where appropriate, biological plausibility for the definition of the patient subgroup and the expectation of a differential effect. Ad hoc data mining in search of significant subgroup effects should be avoided. Care should be taken to specify how subgroup analyses were undertaken, including the choice of scale on which effect modification is defined. The precision of all subgroup estimates should be reflected in the analysis of parameter uncertainty. The characteristics of the patients associated with the subgroups presented should be clearly specified to allow the Appraisal Committee to judge the appropriateness of the analysis with regard to the decision problem."
"From all discussions amongst experts that I have been part of, including discussion of the Committee and the GDG, there is no biological plausibility that any of the drugs under appraisal should be more efficacious in older women (in this case women over 74) than in younger women."
A bare assertion, in a post-decision statement, about biological plausibility does not assist in saving the decision. Moreover, and with respect, it appears to miss the point made by the appellants and by EMA. The subgroup study is said to be valuable because it deals with the efficacy of the product in the age group which is shown, statistically, to be at much greater risk. Because of the dramatic increase in the number of hip fractures in women aged 74 or more, results obtained from testing the product on these women are more relevant to the efficacy, it is submitted, and also more reliable statistically than tests on a comparable number of women for whom the risk of fracture is low.