{"id":211575,"date":"2017-08-14T11:47:34","date_gmt":"2017-08-14T15:47:34","guid":{"rendered":"http:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/august-2017-regulating-crispr-genome-editing-in-humans-where-do-we-go-from-here-jd-supra-press-release\/"},"modified":"2017-08-14T11:47:34","modified_gmt":"2017-08-14T15:47:34","slug":"august-2017-regulating-crispr-genome-editing-in-humans-where-do-we-go-from-here-jd-supra-press-release","status":"publish","type":"post","link":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/transhuman-news-blog\/genome\/august-2017-regulating-crispr-genome-editing-in-humans-where-do-we-go-from-here-jd-supra-press-release\/","title":{"rendered":"August 2017  Regulating CRISPR genome editing in humans: where do we go from here? &#8211; JD Supra (press release)"},"content":{"rendered":"<p><p>    The use of genome-editing techniques in medical therapies has    proved to be a promising development in the treatment of    certain diseases, such as cancer, HIV and rare diseases, by    genetically altering specific types of cells. Compared to other    techniques used to insert, delete or replace DNA in the genome    of an organism, CRISPR\/Cas9 is much quicker, easier to use and    less costly, may be more precise in its application, and can    also be used to edit multiple genes simultaneously. The    technique therefore has the potential to be a true    game-changer in medicine with profound beneficial effects on    human health. However, the enthusiasm for the opportunities of    this promising technology should be accompanied by adequate    regulatory oversight to guarantee the safety of products and    applications that use this technology.  <\/p>\n<p>    The first clinical trial using CRISPR-edited    immune cells began in patients with lung cancer in China in    2016. Earlier this year, FDAs Recombinant DNA Advisory    Committee did not find any objections to the first    clinical protocol to use CRISPR\/Cas9-mediated gene editing,    and the first US clinical trial is expected to start shortly.    Several more clinical trials have since been approved and    started in China, including one which proposes to perform gene    editing in vivo  i.e. directly within the body of    live patients (as opposed to ex vivo, e.g. using cells    extracted from donors).  <\/p>\n<p>    Most recently, in August 2017, a team of US-based scientists at    Oregon Health and Science University published a paper describing the successful use of    CRISPR\/Cas9 to fix a disease-causing DNA error in dozens of    early-stage human embryos, which, according to biologist    Shoukrat Mitalipov, brings us much closer to clinical    applications. Clinical use of this work would mean actually    implanting some of these embryos with the goal of children    being born that possess genes which have been artificially    edited using CRISPR technology and would be capable of passing    those edited genes to their offspring. These developments are    exciting for patients and their loved ones, but in equal    measure represent a challenge to existing regulatory structures    and society at large. At any rate, with the pace of development    in the CRISPR field around the world, clinical trials involving    CRISPR in the EU may not be far away.  <\/p>\n<p>    Regulators in the EU and abroad will need to stay abreast of    this new (r)evolution in genome-editing technologies. In this    respect, different groups established within the European    Commission, including the European Group on Ethics in Science    and New Technologies, have emphasised the great potential [of the CRISPR\/Cas9    genome-editing technology] due to its many advantages to    previous methods and acknowledged that the CRISPR\/Cas9    system challenges the international regulatory    landscape for the modification of human cells in the near to    medium term.  <\/p>\n<p>    While no specific regulatory guidance has been issued to date,    the European Medicines Agency (EMA) has started to lay the    groundwork for the regulatory implications to come, by    launching a public consultation on the revision of its    Guideline on medicinal products containing genetically modified    cells on 20 July 2017. The EMA specifically recognises that    the current 2012 guideline focuses on    genetic modifications by traditional methods (based on the use    of vectors carrying recombinant nucleic acids), but that the    introduction of the CRISPR\/Cas9 system has rapidly increased    the use of genome-editing technologies to genetically modify    cells ex vivo for clinical applications, and aims to    take these aspects into consideration in its revised draft    guideline, which is expected by March 2018.  <\/p>\n<p>    Regulation of gene-edited products in the EU  <\/p>\n<p>    1.EU-wide classification and authorisation of    Advanced Therapy Medicinal Products  <\/p>\n<p>    Currently, in the EU, new medicinal products based on genes    (gene therapy), cells (cell therapy) and tissues (tissue    engineering)  also known as advanced therapy medicinal    products or ATMP  are regulated by the ATMP Regulation    (Regulation (EC) No. 1394\/2007 on advanced    therapy medicinal products). The ATMP Regulation is a    lex specialis supplementing the provisions of Directive 2001\/83\/EC and Regulation (EC) No 726\/2004. It regulates ATMPs which are    intended to be placed on the market in [EU] Member States and    either prepared industrially or manufactured by a method    involving an industrial process.  <\/p>\n<p>    Like all other modern biotechnology medicinal products, ATMPs    are regulated at EU level and are subject to the centralised    marketing authorisation procedure. In addition to the general    regulatory requirements that apply to all medicinal products,    given their complexity, ATMPs are subject to specific technical    requirements, including the type and amount of quality    pre-clinical and clinical data necessary to demonstrate the    quality, safety and efficacy of the product and obtain a    marketing authorisation. To facilitate the development of these    products and help pharmaceutical companies prepare for    marketing authorisation applications, the EMA has adopted    a raft of scientific guidelines. Whether    the existing regulatory framework and guidelines will be fit    for purpose for genome-editing applications remains to be seen.    Some clarifications and modifications seem unavoidable as is    reflected by the EMAs on-going revision of its overarching    guideline on medicinal products containing genetically modified    cells in light of the CRISPR\/Cas9 advances.  <\/p>\n<p>    The ATMP Regulation distinguishes three types of ATMPs, two of    which are of interest when considering CRISPR products and    applications: (i) gene therapy medicinal products (GTMPs) and    (ii) somatic cell therapy medicinal products (sCTMPs).  <\/p>\n<p>    Pursuant to Directive 2001\/83\/EC (Annex I, Part IV, Section    2.1), a GTMP corresponds to a biological medicinal product with    the following characteristics:  <\/p>\n<p>    a)it contains an active substance which contains or    consists of a recombinant nucleic acid used in or administered    to human beings with a view to regulating, repairing,    replacing, adding or deleting a genetic sequence; and  <\/p>\n<p>    b)its therapeutic, prophylactic or diagnostic effect    relates directly to the recombinant nucleic acid sequence it    contains, or to the product of genetic expression of this    sequence.  <\/p>\n<p>    In contrast, the Directive (Annex I, Part IV, Section 2.2)    defines an sCTMP as a biological medicinal product that:  <\/p>\n<p>    a)contains or consists of cells or tissues that have    been subject to substantial manipulation so that biological    characteristics, physiological functions or structural    properties relevant for the intended clinical use have been    altered, or of cells or tissues that are not intended to be    used for the same essential function(s) in the recipient and    the donor; and  <\/p>\n<p>    b)is presented as having properties for, or is used    in or administered to human beings with a view to treating,    preventing or diagnosing a disease through the pharmacological,    immunological or metabolic action of its cells or tissues.  <\/p>\n<p>    Depending on the primary mode of action of a therapy,    CRISPR-modified cells that are used in therapy could likely be    categorised as either GTMPs or sCTMPs (though given the early    stages of CRISPR-related clinical trials, this has not yet been    confirmed by regulatory authorities to date). For example, where the primary use of    genome-edited haematopoietic stem cells (HSCs) is immune    reconstitution and the genetic modification is for the    secondary purpose of limiting risk of graft versus host    disease, the therapy is likely to be classified as an sCTMP.    This is because HSCs themselves can reconstitute a patients    immune system without any genetic modification. In contrast,    where the primary mode of action is a direct result of the    genetic modification, it is likely to be classified as a GTMP.    For example, where a gene is inserted into    T-cells, resulting in a receptor being expressed on the cell    surface designed to recognise and attack target cells (such as    cancer cells), this is likely to be considered a GTMP because    the T-cells alone, without this genetic modification, would not    provide any therapeutic effect. Notwithstanding the above, the    ATMP Regulation requires that a product meeting the definition    of both GTMP and sCTMP be classified as a GTMP.  <\/p>\n<p>    If an applicant is unsure whether a product is an ATMP, it can    request a recommendation from the EMAs specialised Committee    for Advanced Therapies (CAT), which must respond within 60 days    (after consultation with the European Commission). Non-confidential summaries of these    recommendations are publicly available. The CAT provides    advice on whether a product falls within the definition of an    ATMP, formulates draft opinions on the quality, safety and    efficacy of ATMPs for final approval by the Committee for    Medicinal Products for Human Use (CHMP), and advises the latter    on any data generated in the development of ATMPs. The CAT has    previously evaluated cell therapies involving genetically    modified cells and the evaluation of CRISPR-modified medicinal    products is likely to be analogous (see for example        Autologous anti-BCMA CAR T-cells which were classified as a    gene therapy medicinal product). Companies interested in    the development and marketing of CRISPR edited medicinal    products should consider monitoring CAT recommendations,    reports and publications in order to better understand how    CRISPR products will be classified and regulated in the context    of the ATMP Regulation.  <\/p>\n<p>    2.National approvals by competent authorities and    ethics committees of clinical trials with ATMPs  <\/p>\n<p>    ATMPs must go through clinical trials in the same way as any    other medicine. Clinical trials are approved on a national    basis, by the national competent regulatory authorities after    the provision of the opinion of an ethics committee, in    accordance with the harmonised procedures and principles    established by the Clinical Trials Directive (Directive 2001\/20\/EC). However, the    application procedure will be streamlined significantly as    applications will be submitted through a single EU portal and    undergo a (partly) harmonised assessment (by all Member States    involved) once the Clinical Trials Regulation (EU) No 536\/2014    will become applicable (at the earliest, October 2018 according    to the timeframe drawn up by the EMA but  most likely     later).  <\/p>\n<p>    Given the complexity of ATMPs (and the corresponding clinical    trial dossiers), specific written authorisation is required,    and the timelines for approval of clinical trials with these    products are often longer than for regular medicinal products.    Currently, the time period for the national competent authority    to consider a request for authorisation of a clinical trial     which in principle may not exceed 60 days  may be extended by    30 days in the case of GTMPs and sCTMPs. This maximum period of    90 days may be extended by a further 90 days in the event of    consultation of a group or a committee in accordance with the    regulations and procedures of the Member States concerned.    Under the new Clinical Trials Regulation, review timelines will    remain lengthier in the case of clinical trials involving an    ATMP.  <\/p>\n<p>    Ethical aspects remain the responsibility of individual EU    Member States and (even under the new Clinical Trial    Regulation) local ethics committees need to give their opinion    before a clinical trial can be authorised. It is clear that the    debate around trials involving products created by CRISPR    techniques (or therapies involving the direct in vivo    use of CRISPR in patients) is likely to be complex given the    numerous ethical issues (such as the fear of designer babies    and other eugenic applications) raised by this technology.    Currently, for ATMPs, ethics committees can extend the time    period to give their reasoned opinion on a clinical trial with    these products from 60 to 90 days (which may be further    extended by 90 days in the event of consultation of a specific    committee), and  despite the intention of the Clinical Trials    Regulation to shorten the timelines for clinical trial    approvals in the EU  these extended timelines are likely to be    indispensible for CRISPR related trials.  <\/p>\n<p>    However, importantly, to date, it is clearly established in EU    law that gene therapy trials resulting in modifications to the    subjects germ line genetic identity are prohibited (and this    prohibition is maintained under the EU Clinical Trials    Regulation). Therefore, one of the most controversial    applications of CRISPR (which was the subject of the August    2017 Mitalipov paper)  the editing of genes at a germ-line    level (in egg cells, sperm cells and embryos) so that the    edited gene is inheritable by future generations  is unlikely    to be permitted in the EU for the foreseeable future.  <\/p>\n<p>    3.Other regulations to consider  <\/p>\n<p>    Additional legislation supporting the ATMP regulation will have    to be considered as well. For example, where tissues and cells    are used as starting materials, the donation, procurement and    testing of the cells are covered by the Tissues and Cells    Directive (Directive 2004\/23\/EC). Other relevant    legislation includes Directive 2005\/28\/EC that lays down    detailed guidelines for good clinical practice (GCP) and the    requirements for authorisation of the manufacturing or    importation of ATMPs.  <\/p>\n<p>    This is an exciting time for research and development    wherein the use of CRISPR in medicine may lead to rapid and    significant progress for human health. The regulation of the    developments triggered by this new technology is important to    ensure that, on the one hand, appropriate quality and safety    standards are adhered to, by way of evaluating and mitigating    potential risks and, on the other, a clear and certain    regulatory environment is created to encourage researchers to    explore fully the potential of this technology within the    ethical bounds society deems appropriate. It appears that the    regulation of gene and cell therapies under the EU ATMP    Regulation  possibly with some regulatory modifications and    the adoption of adequate scientific guidelines - could also    govern revolutionary gene-editing techniques such as    CRISPR\/Cas9, and is therefore the legal instrument to watch as    CRISPR continues to conquer the world of medicine.  <\/p>\n<p><!-- Auto Generated --><\/p>\n<p>Read more here:<br \/>\n<a target=\"_blank\" href=\"http:\/\/www.jdsupra.com\/legalnews\/august-2017-regulating-crispr-genome-64475\/\" title=\"August 2017  Regulating CRISPR genome editing in humans: where do we go from here? - JD Supra (press release)\">August 2017  Regulating CRISPR genome editing in humans: where do we go from here? - JD Supra (press release)<\/a><\/p>\n","protected":false},"excerpt":{"rendered":"<p> The use of genome-editing techniques in medical therapies has proved to be a promising development in the treatment of certain diseases, such as cancer, HIV and rare diseases, by genetically altering specific types of cells. Compared to other techniques used to insert, delete or replace DNA in the genome of an organism, CRISPR\/Cas9 is much quicker, easier to use and less costly, may be more precise in its application, and can also be used to edit multiple genes simultaneously.  <a href=\"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/transhuman-news-blog\/genome\/august-2017-regulating-crispr-genome-editing-in-humans-where-do-we-go-from-here-jd-supra-press-release\/\">Continue reading <span class=\"meta-nav\">&rarr;<\/span><\/a><\/p>\n","protected":false},"author":2,"featured_media":0,"comment_status":"closed","ping_status":"closed","sticky":false,"template":"","format":"standard","meta":{"footnotes":""},"categories":[25],"tags":[],"class_list":["post-211575","post","type-post","status-publish","format-standard","hentry","category-genome"],"_links":{"self":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/posts\/211575"}],"collection":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/users\/2"}],"replies":[{"embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/comments?post=211575"}],"version-history":[{"count":0,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/posts\/211575\/revisions"}],"wp:attachment":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/media?parent=211575"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/categories?post=211575"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/tags?post=211575"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}