在线观看一区二区三区三州_日韩精品免费播放_日韩中文娱乐网_日韩欧美一区二

CN
EN
2023-02-16

海問合伙人吳婷律師受邀再次為”China Law & Practice”獨家撰寫2022中國生命科學行業(yè)年度總結文章

Author: WU, Tina

封面1.png

● Innovation-driven regulatory environment and economic downturn in the past year have urged life science companies to be more resilient and flexible to current regulatory and market changes.

● The Chinese government has cultivated an innovation-driven regulatory environment and provide unprecedented market incentives for orphan drugs and pediatric drugs.

● The legislative development in 2022 addressed various emerging issues in the industry, including cell and gene therapy regulation, cross-region or cross-border regulation, e-commerce regulation.


The Chinese government has been deepening its reform over the past year in order to foster evolving regulatory framework. Deeper reforms coupled with a chilled market means life science companies should prioritize their assets and re-position their business strategies in order to survive and grow stronger.


The legislative developments in 2022 continued to reinforce and foster the spirit and regulatory framework laid by the PRC Drug Administration Law (DAL) (中華人民共和國藥品管理法), the PRC Vaccine Administration Law (VAL) (中華人民共和國疫苗管理法), the PRC Medical Device Regulation (MDR) (醫(yī)療器械監(jiān)督管理條例) and the Regulations for the Supervision and Administration of  (CSAR) (化妝品監(jiān)督管理條例) between 2019 to 2021 to cultivate an innovation-driven environment and compliance culture for the life science sector.


I

What does not kill me makes me stronger


Innovation-driven regulatory environment and economic downturn in the past year have urged life science companies to be more resilient and flexible to current regulatory and market changes. Patient-centered market players who differentiate themselves with innovation and truly address unmet clinical need may survive and thrive.


Cultivating an innovation-driven regulatory environment

In early-2022, the Chinese government announced its “14th Five-Year Plan for the Pharmaceutical Industry (2021-2025)” in February, which set the tone to call for innovation-driven development and breakthrough technologies for innovative pharmaceutical products and high-end medical devices.


In the same month, the Center for Drug Evaluation (CDE) of the National Medical Products Administration of China (NMPA) released a working procedure to accelerate the NDA review for innovative drugs. Following the Technical Guidelines on Clinical Value-Oriented Trials for Oncology Drugs in 2021, the CDE further published the following draft technical review guidelines to reiterate its review focused on the patient-centered and value-based drug development approach in 2022:


 Draft Technical Guidelines for Patient-centered Clinical Study Design;
● Draft Technical Guidelines for Patient-centered Clinical Study Conduction;
● Draft Technical Guidelines on Patient-centered Benefit-Risk Assessment for Clinical Trials; and


● Draft Technical Guidelines on Benefit-Risk Assessment for Innovation Drugs.

These drafts have been conceived as bearish news for me-too and fast follower products and bullish news for me-better, best-in-class and first-in-class products. Coupled with the chilled market in 2022 and the increasingly crowded pipelines, this regulatory evolution pushes pharmaceutical companies to the next level of innovation. Companies that can bring world-class products and play a bigger role in the international market may survive and stand out.


Unprecedented Market Incentives for Orphan Drugs and Pediatric Drugs

In May 2022, the Chinese government unveiled the long-awaited draft of the DAL Implementing Regulation, which among others and for the first time, grants orphan drugs up to seven years’ market exclusivity and pediatric drugs up to a 12-month market exclusivity. Orphan drugs and pediatric drugs may enjoy such market exclusivity rights even when they are not patent-protected.


The increasingly crowded pipelines and competing environment make pharma companies swift in their intentions to niche markets so as to differentiate themselves. This unprecedented initiative proposed by the Chinese government under the DAL Implementing Regulation, if effective as it is,will greatly encourage the development of orphan drugs and pediatric drugs.  


II

Wading into deep waters


The Chinese regulatory authority unveiled a considerable number of implementing rules in 2022 to deepen its reform in the life science and healthcare sector and foster the evolving regulatory framework formed during 2019 to 2021. The legislative development in 2022 addressed various emerging issues in the industry, including cell and gene therapy regulation, cross-region or cross-border regulation, e-commerce regulation, etc.


Evolving Regulatory Framework in the Pharma Sector

Evolving Regulatory Framework in the Pharma Sector. 2022 has been a fruitful year for cell and gene therapy regulation. NMPA has proposed and/or finalized several policies and guidelines in this area, including:
● Drug GMP - New Appendix for Cell Therapy;
● Quality Management Guidelines for Manufacturing of Cell Therapies;
● Technical Guidelines on Pharmaceutical Research and Evaluation of Immune Cell Therapies;
● Technical Guidelines on Pharmaceutical Research and Evaluation of In-vitro Gene Editing Systems;
● Technical Guidelines on Pharmaceutical Research and Evaluation of In-vivo Gene Therapies; and
● Technical Guidelines on Clinical Trial Design Concerning Gene Therapy for Treating Hemophilia.
These guidelines and drafts show the Chinese government’s intention to promote the development of cell and gene therapies as encouraged by “14th Five-Year Plan for Bio-economy Development” issued by the PRC National Development and Reform Commission in May 2022.


New Era for Online Sales of Medicines. After years of discussions, in September 2022, NMPA finally released the Measures for Oversight of the Sale of Pharmaceuticals Online (藥品網(wǎng)絡銷售監(jiān)督管理辦法), which became effective as of Dec. 1, 2022. There has been a long-standing debate on the restriction of online sales of prescription drugs. The Measures for Oversight of the Sale of Pharmaceuticals Online finally give a green light, upon the condition that prescription drugs are visible and accessible to consumers only after the presentation of prescription by consumers. This differs from the current practices that consumers may view prescription drugs freely and only need to present the prescription upon payment.

This new requirement echoes the so-called “most stringent” telemedicine rule issued in 2022, which prohibits the provision of Rx drugs to consumers before prescription, and the prescriptions must be issued personally by physicians instead of generated automatically by AI tools.

Breakthrough Cross-Border Contract Manufacturing in Greater Bay Area. In June 2022, the Chinese government, as a pilot program, allowed cross-border manufacturing arrangement in the Guangdong-Hong Kong-Macao Greater Bay Area. Drug or device market authorization holders (MAH) in Hong Kong and Macau were permitted to engage in Contract Manufacturing Organizations (CMOs) in nine cities in the Guangdong Greater Bay Area including Guangzhou, Shenzhen and Zhuhai to provide CMO services for eligible drugs and devices.

It has been NMPA’s long standing position that MAHs may not outsource manufacturing activities for finished drug and device products cross-border. This means, traditionally, drug and device products marketed by domestic MAHs in China must be locally manufactured; and those marketed by foreign MAHs in China must be manufactured overseas. Offshore companies (including Hong Kong and Macao companies) may not hold market authorization (“MA”) in China for drug and device products that are locally manufactured in China.

This Pilot program provides Hong Kong and Macao MAHs opportunities to leverage manufacturing facilities and manpower within the Greater Bay Area. Though currently, only a limited number of pharmaceutical and device products are eligible in this program, which may help Chinese regulator gain experience in cross-border regulation and may pave the way for future opening. 

Cross-Region Working Mechanism Among Local MPAsThe rolling out of MAH system for drug and device products in recent years have boosted CMO and CDMO businesses in China.Increasingly biotech and medtech companies have resorted to CMO and CDMO services, while often time MAHs and CMO/CDMO may not be located within the same province. This creates the increasing need for cross-region manufacturing arrangement and regulation.

Typically, drug and device manufacturing activities are primarily regulated by local Medical Products Administrations (MPAs). That is to say, MAHs and CMO/CDMOs must be primarily regulated by their respective local MPAs in the province when they are located. When MAH engages a CMO/CDMO that is located in a different province within China, it may call for joint-regulation by MAH’s supervising MPA and CMO/CDMO’s supervising MPA.

To address the increasing need for such joint-regulation, the NMPA encourages local MPAs to accelerate and strengthen their cross-region working mechanism, which enables them to timely exchange information and coordinate on joint actions on a regular basis. For example, local MPAs may take joint-actions for on-site inspections required either before or after market approval, exchange information and provide support on product quality sampling and AE monitoring, and take joint enforcement actions against violations. The NMPA expects that this cross-region joint working mechanism among local MPAs would create seamless supervision over MAH and its CMO/CDMOs cross-regions.

Strengthened Regulation for Vaccines. Following the release of the “most stringent” VAL, the NMPA finalized one key VAL implementing rules: the Provisions for the Administration of the Manufacturing and Distribution of Vaccines (VMDR) (疫苗生產(chǎn)流通管理規(guī)定) in July 2022. Among others, VMDR


● sets a high entry threshold by strictly controlling the number of vaccine manufacturers in China;
● requires vaccine MAHs to have manufacturing capability, which means that vaccine companies only having R&D capabilities may not become a vaccine MAH;
● only allows vaccine MAHs to outsource manufacturing activities in very limited circumstances (for example, on the government’s demand for public needs or for multivalent vaccines); and
● for imported vaccine products marketed by a foreign MAH in China, requiring foreign MAHs to only engage an adequate general local distributor for one imported product.

Evolving Regulatory Framework in the Medtech Sector


New Rules on Device Manufacturing and DistributionFollowing the release of the MDR in 2021, the NMPA issued the two major MDR implementing rules in 2022: the Measures for the Oversight of the Production of Medical Devices (MDMR) (醫(yī)療器械生產(chǎn)監(jiān)督管理辦法) and the Measures for Oversight of the Dealing in Medical Devices (MDDR) (醫(yī)療器械經(jīng)營監(jiān)督管理辦法). MDMR and MDDR reinforce the MAH system launched by MDR, and further streamline the device regulatory approval procedure. For example,


● MDMR now allows CMOs to apply for a Device Manufacturing Permit in reliance on MAH’s device registration license instead of holding a product registration license by itself. MDMR no longer restricts MAHs from only engaging one CMO at a time. Generally, MAHs have freedom to engage multiple CMOs for one product to the extent commercially desirable.
● MDDR exempts certain low-risk class II medical devices from Device Distribution Notification with the supervising regulatory authority. Further, MDDR simplifies submission dossiers required for a Device Distribution Permit or a Device Distribution Notification, and shortens the application review timeline from 30 working days to 20 working days.
New Device GCP.  The NMPA released the new Medical Device GCP in March 2022, which became effective on May 1, 2022. In line with the spirit of the MDR, the new Medical Device GCP emphasized the regulatory obligations and responsibilities that should be assumed by a device sponsor. Medical Device GCP requires device sponsors to establish an appropriate quality management system that can appropriately cover the whole process of clinical trials sponsored by them. This echoes the responsibilities assumed by MAHs under the MDR throughout the entire device life cycle from development to commercialization.
Updated Risk-Based Regulatory ApproachNMPA consolidated and strengthened its risk-based regulatory framework to regulate medtech companies in 2022. Specifically, NMPA grouped device companies into four grades based on their risk level as follows:


微信截圖_20230301144355.png


Evolving PRC Cosmetics Regulatory Framework


With the unveiling of CSAR in 2021, the cosmetic regulation entered into a new era. A series of implementing rules come into effect in 2022 to implement and supplement CSAR.


First Cosmetics Online Sales RulesE-commerce for cosmetic products has experienced exponential growth in recent years, which called for systematical regulation to guide online sales activities. In August 2022, the NMPA published the draft Measures for the Regulation of Online Dealing of Cosmetics  (化妝品網(wǎng)絡經(jīng)營監(jiān)督管理辦法) to specifically regulate cosmetic-related e-commerce activities. In particular, the draft highlights cosmetic companies’ obligation to fully, truthfully, accurately and clearly disclose information on the labels of cosmetic products, and obligates cosmetic companies to timely take corrective actions to control and mitigate risk.
First Cosmetics GMP.  NMPA released the Cosmetic Good Manufacturing Practice (Cosmetic GMP) (化妝品生產(chǎn)質(zhì)量管理規(guī)范) in January 2022, which became effective on July 1, 2022. This was the first Cosmetic GMP in China that provides comprehensive guidance on the cosmetic manufacturing process. In particular, to address the prevailing contractual manufacturing in the cosmetic industry, the Cosmetic GMP has a chapter specifically for contract manufacturing, which clarifies the responsibilities between MAHs and CMOs in terms of product quality and safety. MAHs need to establish an appropriate quality management system with adequate personnel and facilities that can competently supervise CMO’s activities and product releases.
First Cosmetic AE Rules. The NMPA, for the first time, issued the  Measures for the Monitoring of Cosmetic Adverse Effects (Cosmetic AE Measures) (化妝品不良反應監(jiān)測管理辦法) in February 2022, which became effective on Oct. 1, 2022. This was a major legislative milestone for cosmetic adverse effects (AE) regulation.
It specifies and standardizes the procedures for AE monitoring, reporting, evaluation and investigation. It emphasizes cosmetic MAHs’ primary responsibility for the quality and safety of their cosmetic products throughout the whole life cycle, and regulatory obligations to proactively monitor, collect, evaluate AEs and take timely risk control measures against AEs.


MAHs must investigate the root cause of AEs with consideration to the potential risk arising from raw materials, product formulation, manufacturing process, quality management, storage and transportation. The Cosmetic AE Measures urge cosmetic companies to take into account AE monitoring and evaluation as an importation part of their product quality and risk management system throughout the whole product life cycle.


III

Biosafety and HGR regulation: be prepared for routine inspections as the new normal

After the implementation of the PRC Regulations for the Administration of Human Genetic Resources (HGR Regulations) (中華人民共和國人類遺傳資源管理條例) in 2019 and the PRC Bio-Safety Law (中華人民共和國生物安全法) in 2020, the PRC Ministry of Science and Technology (MOST) unveiled the long-expected Draft Implementation Rules for the HGR Regulations (Draft HGR Implementing Rules) (人類遺傳資源管理條例實施細則) for public comments in March 2022. 
Notably, half of the Draft HGR Implementing Rules introduces a multi-level, risk-based and systematical approach to supervising and inspecting activities involving Chinese human genetic resources (HGRs) and elaborating on the working procedures therein.
If the Draft HGR Implementing Rules become effective in its current form, it is expected that local counterparts of MOST will play an important role in HGR enforcement and will conduct multi-level overarching HGR inspections on companies located within their jurisdiction, including:


● annual regular inspections;

● prioritized inspections on high risk companies (such as companies being penalized for HGR violations in the past three years, companies that failed to take timely corrective actions and companies with poor credentials);

● randomized sampling inspections; and


● for-cause inspections.
Companies with good credential and performance would receive less HGR inspections. Life science companies should be prepared for frequent routine HGR inspections in the future, including taking corrective action to address history compliance issues (if any) and building up or improving HGR policies and systems to ensure HGR compliance on an ongoing basis.
Other notable highlights of the Draft HGR Implementing Rules include:
1. It “narrowed” the scope of HGR information by emphasizing on human gene and genome data.
2. It clarifies the “actual control” test for a foreign party under the HGR Regulations, pursuant to which VIE would be deemed as a foreign party from an HGR regulation perspective, as VIE typically is an entity actually controlled by a foreign party through VIE contractual arrangement.
3. It clarifies the circumstances that would trigger security review for HGR information export, including exporting exome or genome sequencing information of over 500 subjects, and exporting HGR information of important genetic families or from specific regions.
4. More registrational trials would be eligible for a simplified notification procedure with MOST.
5. HGR collection approvals would no longer be required for registrational trials that do not involve HGRs from an important genetic family or specific regions.
6. Non-material changes of a clinical trial would enjoy a simplified approval or notification procedure.


******

In 2023, with the removal of pandemic control measures and re-opening up to the world, we expect the recovery of the market and closer cross-border collaborations. Chinese life science companies are thrilled to show their innovation and resilience to embrace a better 2023. With more legislative developments to enrich and foster the regulatory framework in the life science sector, life science companies learn to adapt to the new era of the innovation-driven and compliant regulatory environment.

Contact Us
Address:20/F, Fortune Financial Center 5 Dong San Huan Central Road Chaoyang District Beijing 100020, China
Telephone:+86 10 8560 6888
Fax:+86 10 8560 6999
Mail:haiwenbj@haiwen-law.com
Address:26/F, Tower 1, Jing An Kerry Centre, 1515 Nanjing Road West, Shanghai, China, 200040
Telephone:+86 21 6043 5000
Fax:+86 21 5298 5030
Mail:haiwensh@haiwen-law.com
Address:Room 3801, Tower Three, Kerry Plaza 1 Zhong Xin Si Road, Futian District, Shenzhen 518048, China
Telephone:+86 755 8323 6000
Fax:+86 755 8323 0187
Mail:haiwensz@haiwen-law.com
Address:Suites 601-602 & 610-616, 6/F, One International Finance Centre, 1 Harbour View Street, Central, Hong Kong
Telephone:+852 3952 2222
Fax:+852 3952 2211
Mail:haiwenhk@haiwen-law.com
Address:Unit 01, 11-12, 20/F, China Overseas International Center Block C, 233 Jiao Zi Avenue, High-tech District, Chengdu 610041, China
Telephone:+86 28 6391 8500
Fax:+86 28 6391 8397
Mail:haiwencd@haiwen-law.com

Beijing ICP No. 05019364-1 Beijing Public Network Security 110105011258

在线观看一区二区三区三州_日韩精品免费播放_日韩中文娱乐网_日韩欧美一区二
欧美亚洲国产视频小说| 免费一区二区三区| 日本三级中文字幕在线观看| 国产美女高潮久久白浆| 国产精品精品国产| 欧美精品久久96人妻无码| 国产极品jizzhd欧美| 亚洲自拍的二区三区| 国产精品夜间视频香蕉| 欧美黄网免费在线观看| 国产一区二区三区精彩视频| 久久这里有精品视频| 国产一区二区在线网站| 国产精品久久久久久久久久久久午夜片 | 日韩免费中文专区| 高清在线观看免费| 一区二区精品在线观看| 国产另类自拍| 伊人久久婷婷色综合98网| 国产专区精品视频| 免费不卡在线观看av| 国产日韩中文字幕在线| 欧美极品在线播放| 成人精品小视频| 亚洲成人网上| 久久精品视频91| 欧美图片激情小说| 色偷偷9999www| 欧美专区一二三| 久久精品91久久久久久再现| 秋霞久久久久久一区二区| www.欧美精品| 免费看国产精品一二区视频| 国产99久久精品一区二区 夜夜躁日日躁| 国产无套粉嫩白浆内谢的出处| 精品免费日产一区一区三区免费 | 91免费版看片| 日本精品性网站在线观看| 国产成人精品久久二区二区| 日本一区精品| 久久精品国产久精国产思思| 国产又黄又爽免费视频| 一区二区精品免费视频| 国产成人av影视| 国内精品一区二区三区| 一本色道久久99精品综合| 国产精品99久久久久久久久久久久| 日韩av123| 国产精品久久..4399| 国产精品亚洲аv天堂网| 日日噜噜夜夜狠狠久久丁香五月| www欧美日韩| 国产免费一区二区三区香蕉精| 亚洲伊人成综合成人网| 91av网站在线播放| 欧美精品卡一卡二| 亚洲综合精品一区二区| 深夜福利一区二区| 国产日韩欧美在线| 欧美一区二区三区免费视| 国产精品丝袜久久久久久消防器材| 国产精品自拍偷拍| 日韩经典在线视频| 一区二区三区在线观看www| 久久波多野结衣| 国产精自产拍久久久久久| 热99这里只有精品| 一区高清视频| 国产精品爽爽爽爽爽爽在线观看| julia一区二区中文久久94| 欧美精彩一区二区三区| 亚洲精品乱码视频| 国产精品成人观看视频国产奇米| 久久综合九色欧美狠狠| 国产欧美日韩综合精品二区| 日韩网站在线免费观看| 一区二区精品免费视频| 国产精品无码专区在线观看| 91精品国产乱码久久久久久蜜臀 | 国产精品视频白浆免费视频| 国产精品永久在线| 欧美大陆一区二区| 日韩一区国产在线观看| 精品国产综合| 久久九九免费视频| 久久精品国产美女| 成人免费无码av| 激情小说综合区| 日韩久久不卡| 日韩一区免费观看| 一区二区成人国产精品| 国产精品久久激情| 精品国产欧美一区二区五十路| 91精品国产91久久| 国产乱人伦真实精品视频| 黄色小视频大全| 日韩精品一区二区三区丰满| 天天人人精品| 亚洲区一区二区三区| 久久99久国产精品黄毛片入口| 国产精品视频在线播放| 久久久久久久av| 久久精品综合一区| 91精品久久久久久久久青青| 国产精品一 二 三| 国产偷人视频免费| 蜜桃视频成人在线观看| 成人国产精品av| 国产成人精品一区二区| 99久热re在线精品视频| 黄频视频在线观看| 欧美资源一区| 欧洲精品久久久| 欧美一区二区三区电影在线观看| 一区二区三区欧美成人| 精品国产一区二区三区免费| 久久久影院一区二区三区| av动漫在线播放| 阿v天堂2017| 成人免费xxxxx在线观看| 高清在线观看免费| 91久热免费在线视频| 91久久国产婷婷一区二区| 91免费欧美精品| 99在线国产| 不卡日韩av| 91精品国产91久久久久久吃药 | www.av蜜桃| 99久热在线精品视频| 91精品久久久久久久久久久| 91精品国产高清久久久久久| 久久久视频在线| 久久久久久亚洲| 久久久国产精品视频| 国产精品观看在线亚洲人成网| 国产精品爽爽爽爽爽爽在线观看 | 99中文字幕| 97国产精品人人爽人人做| 国产精品av网站| 国产av无码专区亚洲精品| 日韩中文字幕在线看| 国产精品视频免费在线观看| 国产精品对白刺激久久久| 久久久久久国产| 电影午夜精品一区二区三区| 欧美在线一级va免费观看| 国产中文字幕免费观看| 成人在线小视频| 国产成人精品日本亚洲专区61| 久久久99久久精品女同性| 久久91精品国产91久久久| 亚洲精品中文字幕乱码三区不卡| 日韩成人手机在线| 国模精品系列视频| 91久热免费在线视频| 久久精品国产久精国产思思| 欧美激情a∨在线视频播放| 日本一区二区三区四区视频| 欧美日韩视频在线一区二区观看视频| 蜜桃在线一区二区三区精品| 97久久精品人人澡人人爽缅北| 久久久久久久亚洲精品| 国产精品无码乱伦| 欧美日韩国产第一页| 日本精品久久电影| 国产尤物91| 久章草在线视频| 国产精品国产三级国产aⅴ浪潮| 亚洲第一综合| 国产在线日韩在线| 久久精品国产精品国产精品污| 欧美精品免费看| 日韩精品第1页| 国产精品一区二区免费看 | 97精品国产91久久久久久| 日韩视频免费在线| 一区二区成人国产精品| 欧美性在线视频| 超碰国产精品久久国产精品99| 国产福利视频在线播放| 国产99久久精品一区二区 | 国产精品情侣自拍| 日韩一区国产在线观看| 精品视频一区二区在线| 久操网在线观看| 欧美日韩高清区| 欧美日韩日本网| 国产传媒欧美日韩| 欧美精品xxx| 国内一区二区在线视频观看| 国产福利一区二区三区在线观看| 久久99亚洲精品| 欧美日韩亚洲一区二区三区在线观看| 91精品免费看| 中文字幕在线亚洲三区| 国产原创精品| 国产精品免费在线播放| 日本不卡高清视频一区| 91精品久久久久久久久青青| 欧美日韩成人免费|