Abstract

As the UK exits the European Union, there is a pressing need for the UK to invest in regulatory science and innovation if it is to be globally competitive and internationally collaborative. Innovation in life sciences, including digital tools, robotics, artificial intelligence and new therapeutic approaches, such as cell and gene therapy, will play a crucial role in continued improvement in health outcomes and life expectancy. The UK is powerfully positioned to lead in the discovery, development and evaluation of these new approaches, enabling accelerated routes to market, increasing benefits to public and individual health, improving patient safety, influencing international practice and promoting investment in the UK.1,2
Recommendations.a
aRecommendations taken from Birmingham Health Partners Advancing Regulatory Science and Innovation in Healthcare Report, 2020, based on a scoping review and stakeholder input.4 MHRA: Medicines and Healthcare Products Regulatory Agency; R&D, research and development.
Current context for regulatory science
Life sciences are vital to the UK’s health but also its economic wealth. The industry supports around 482,000 jobs in the country and the activities of life sciences companies directly contributed £14.5bn to the national economy in 2015, with an additional £15.9bn provided through the life sciences supply chain and employee spending. 6 UK life sciences businesses face unprecedented challenges in both near-term viability and long-term sector sustainability due to regulatory uncertainty following Brexit and the global COVID-19 pandemic.
As a European Union member, the UK Medicines and Healthcare Products Regulatory Agency was integrated in the European Union Medicines Regulatory Network, including the European Medicines Agency. Now that the UK has left the European Union, the Medicines and Healthcare Products Regulatory Agency will ‘continue to support the UK Government to deliver its legal obligations under the Withdrawal Agreement and prepare for its new relationships with the European Union and the rest of the world’. To do this, they continue to work closely with the Department of Health and Social Care to ensure the UK regulatory environment works in the best interests of patients, industry and our partners across the health and care system.’4,7 The Medicines and Healthcare Products Regulatory Agency Business Plan 2020–2021 highlights key strategic areas for change ‘in response to the need to develop a new and effective regulatory model, but this also reflects a new focus on involving and engaging with patients, enabling patient access to new innovative medicines and devices, and speedier response to risks to patient safety and public health.’ 7 A key strategic objective is to improve regulatory science. Post-transition, we should use the European Union–UK negotiations to maintain their current high level of regulatory compatibility, while contributing to advancing global regulations. How should the UK do this? First, it must take account of clear clinical and academic strengths to inform regulatory innovation. Second, it must factor in the opportunity for UK industry to invest in innovation and create a national testbed to drive global progress.
The life sciences industry has already invested significant effort and funds to prepare for new European Union frameworks, and incompatibility from the UK brings risks around complexity, competence and capacity. Our UK trade associations – providing insight and ongoing engagement – have given us a robust framework that we should harness to mitigate these risks. The Government’s White Paper on ‘Regulation for the Fourth Industrial Revolution’ noted that: We need to reshape our regulatory approach so that it supports and stimulates innovation that benefits citizens and the economy. At present, only 29% of businesses believe that the government’s approach to regulation facilitates innovative products and services being efficiently brought to market. The need for reform is urgent: 92% of businesses from a range of sectors think they will feel a negative impact if regulators don’t evolve to keep pace with disruptive change in the next two to three years.
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COVID-19 has severely impacted life sciences research and development, while also demonstrating the impact of a more collaborative effort and regulatory flexibility. The sector is looking at resilient recovery while recognising the continued risk of disruption. During this recovery phase, pharmaceutical and medical technology companies have asked for continued, (national and international) regulatory flexibility. They have used flexibility as they accelerate product development in medicines, devices and vaccines, and move to re-initiate trials, mitigate missing data and implement new models of working (including telehealth and remote monitoring). The unprecedented events of the pandemic have offered a paradigm shift in healthcare regulation.8,9
Strategic leadership and coordinated support
The UK Government’s White Paper, Regulation for the Fourth Industrial Revolution, notes: As we leave the European Union and forge a new path for ourselves, we will continue to play an important role in shaping how regulation is developed internationally. We will collaborate with like-minded international partners to reduce regulatory barriers to trade, through mechanisms such as the adoption of international standards, mutual recognition agreements and free trade agreements. We will encourage our regulators to play an active role in shaping international thinking on how innovation should be regulated.
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For the UK to maximise opportunities in the future regulation of healthcare innovation, it must work cohesively and collaboratively while creating an environment that gives innovators faster ways to demonstrate benefit. The UK must leverage the high profile and excellent stakeholder engagement processes of the leading players. These organisations include: the NHS, patient organisations, National Voices, academia, the Medicines and Healthcare products Regulatory Agency, the NICE and Health Research Authority, as well as the Association of the British Pharmaceutical Industry, Association of British HealthTech Industries, Accelerated Access Collaborative, the British In Vitro Diagnostic Association and Health Data Research Alliance, coordinated by Health Data Research UK, which aims to establish best practice around the ethical use of UK health data for research and innovation at scale. 10 Expert regulatory science should support them.
The need for meaningful and sustained patient and citizen involvement.
The growth of the Academic Health Science Networks has complemented the emergence of significant academic–NHS partnerships. 12 Additionally, Life Science Opportunity Zones support major industry-facing centres of gravity. Together, these areas have become ready-made research ‘clusters’ for innovation – and an ideal springboard for regulatory science to flourish in the UK. 13 Through increased ease of collaboration, clusters foster shared knowledge and talent pools, support collaborative cross-sector innovation and generate synergistic value. They provide essential accelerators and testbeds to inform broader systems thinking.
An ongoing commitment to international collaboration will also be key. It would be highly damaging for the UK to attempt to operate fully in isolation of other regulatory systems and international excellence in approaches to supporting emerging technologies and regulatory science. 2 Indeed, we can and should learn from global regulatory science initiatives such as the research programmes and centres of excellence supported by the Food and Drug Administration (FDA) in the US and the Clinical Trials Transformation Initiative.5,14
Prioritisation and shared risk
Regulatory science – where appropriately targeted – offers a way to provide clarity and collaboration between stakeholders. There are several emerging technologies and trends in regulation which need collective visions on how best to move forward, as highlighted by recent Regulatory Science Summits organised by the Innovative Medicines Initiative in collaboration with the European Medicines Agency and FDA and the European Medicines Agency’s Regulatory Science to 2025 strategy.15,16 These technologies include: advanced therapy medicinal products, artificial intelligence, digital tools for data collection and analysis, digital therapeutics, immunology and the microbiome, big data and digital health, as well as real-world evidence and clinical trials.
International horizon scanning should proactively identify emerging healthcare technologies. Where uncertainties arise about appropriate regulation, we need joint working processes that enable regulatory bodies and industry to flag where evidence and innovation are required in regulatory science to justify research and development investments. Interaction with patient organisations and enhancing methods to incorporate patient-relevant evidence in benefit-risk evaluation and regulatory decision making is key. Tools include patient-reported outcomes and patient preference data. 15 Products, services and business models with high potential benefit for UK society and the economy should be prioritised. Innovation in regulatory science is vital to underpin a research and development environment that mitigates ‘high-risk’ areas of investment with significant promise, such as antimicrobial resistance or new medications for pregnancy-related conditions, to facilitate the rapid and safe introduction of these products and services. 17 Early engagement of innovative developers with multi-stakeholder scientific advice (for example, joint meetings offered by the Medicines and Healthcare Products Regulatory Agency Innovations Office and NICE), offers benefits to all; facilitating navigation of the regulatory landscape and identifying challenging areas for regulators to address. 18
Implementation and evaluation of regulatory innovation
New tools and methodologies will be needed to properly evaluate the impacts of regulatory change and support continuous iteration – the building blocks for these have already been established nationally and internationally. In 2012, the Organisation for Economic Co-operation and Development (OECD) published a framework for systematically evaluating the performance of regulations and regulatory policies. 19 Measuring regulatory progress in a meaningful and credible way requires indicators to measure relevant outcomes and appropriate research designs. Both are needed to support inferences about the extent to which a regulation or regulatory policy under evaluation has actually caused a change in the measured outcomes. Indicators may include: (1) impact/effectiveness (changes in the problem or other outcomes of concern such as patient safety, mortality); (2) cost-effectiveness (costs for a given level of impact); (3) net benefits (all beneficial impacts minus all cost impacts); and (4) equity/distributional fairness of impacts. In addition to equity or distributional concerns, sometimes other outcomes of interest are used as criteria, such as impacts on technological innovation, macroeconomic growth, and employment. Building on the Organisation for Economic Co-operation and Development framework, the European Medicines Agency has developed a conceptual framework for the review of the impact of regulatory science projects on its regulatory processes and activities – with implications for resources and further iterative improvements (Box 3). 19
European Medicines Agency conceptual framework for the review of the impact of regulatory science projects on regulatory processes and activities.
Workforce development
Developing a coherent UK programme of training in regulatory science will be crucial to delivering workforces for industry, the NHS, policy and academia and to support patients and the public involved in regulatory science initiatives. This is an urgent priority to bridge the potential expertise gap resulting from leaving the European Medicines Regulatory Network and to advance regulatory science in the UK. It will provide a sustainable skills pool to ensure that technological innovation in healthcare can be supported successfully – and the corresponding health and economic benefits are realised – while robustly protecting patients. However, we also need to understand what each of these diverse stakeholders in regulatory science need – and what they can offer – so that we can assemble a clear national framework and strategy. Current UK-based training is somewhat limited, comprising master’s level training/apprenticeships and continuing professional development, emerging technologies will require a higher level of capability. 20 To keep pace with innovation and international counterparts, the programme needs to be expanded via internships, fellowships and PhDs involving academia, industry, professional bodies, National Health Service and regulatory bodies as key collaborators, mentors and beneficiaries. The UK should seek to establish clear career pathways in regulatory science.
The UK can learn from, and engage with, international initiatives. In the US, the FDA offers a programme of internships and fellowships via its Oak Ridge Institute for Science and Education partnership.
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The programme allows the FDA to target and accelerate key areas of regulatory science which will support its future activities with successful Fellows often going to work for the regulator and in turn mentoring future Fellows. In the European Union, the European Medicines Agency is currently designing two curricula through the Strengthening Training of Academia in Regulatory Science ‘STARS’ initiative to support both the professional training of clinical scientists and a broader programme to support a shared post graduate educational agenda,
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while the global association for people working in Regulatory Affairs (TOPRA) offer significant training opportunities for professionals.
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It will be crucial to leverage their expertise, insights and professional standing to create an appropriately competitive and ambitious, forward-looking training programme for the UK. Underpinning the advancement of the sector is also a need for people with regulatory skills, across industry, the health service and academia as well as regulators, not only to do the core work of medicines development, regulation and delivery to patients but to be resourced to develop standards for emerging technologies and methodologies.
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Conclusion
The UK’s current situation brings significant complexities, challenges and risks. However, our uniquely collaborative and dynamic national ecosystem for regulatory science is more than capable of rising to tackle them and ensuring this is the time of unique opportunity and benefit.
Why do these proposals matter? We have recommended actions that – crucially – can put the UK in a leadership position for regulation. This position will attract the most exciting ideas and strategic resources from the global industry. It will further accelerate the co-creation and adoption of innovation by the NHS. Critically for regulators, it will create all-important academic insights into the tools, technologies and methodologies they need. And most importantly, it will give our patients and the public an integral voice in the design, development and delivery of innovative new treatments, diagnostics and medical devices. This is an opportunity to develop our regulatory science strategy for the UK to benefit the world.
Footnotes
Declarations
Acknowledgements
We would like to thank contributors to the Advancing Regulatory Science and Innovation in Healthcare Report (Reference 4, page 73) from which this commentary is derived.
Provenance
Provenance: Not commissioned; the paper was revised following peer review comments from another journal
