Summary Basis of Decision for Zydelig

Review decision

The Summary Basis of Decision explains why the product was approved for sale in Canada. The document includes regulatory, safety, effectiveness and quality (in terms of chemistry and manufacturing) considerations.


Product type:

Drug

Summary Basis of Decision (SBD) documents provide information related to the original authorization of a product. The SBD for Zydelig is located below.

Recent Activity for Zydelig

SBDs written for eligible drugs approved after September 1, 2012 will be updated to include post-authorization information. This information will be compiled in a Post-Authorization Activity Table (PAAT). The PAAT will include brief summaries of activities such as submissions for new uses of the product, and whether Health Canada's decisions were negative or positive. PAATs will be updated regularly with post-authorization activity throughout the product's life cycle.

Post-Authorization Activity Table (PAAT) for Zydelig

Updated:

2021-11-22

The following table describes post-authorization activity for Zydelig, a product which contains the medicinal ingredient idelalisib. For more information on the type of information found in PAATs, please refer to the Frequently Asked Questions: Summary Basis of Decision (SBD) Project: Phase II and to the list of abbreviations that are found in PAATs.

For additional information about the drug submission process, refer to the Management of Drug Submissions and Applications Guidance.

Drug Identification Number (DIN):

  • DIN 02438798 - 100 mg idelalisib, tablet, oral
  • DIN 02438801 - 150 mg idelalisib, tablet, oral

Post-Authorization Activity Table (PAAT)

Activity/submission type, control numberDate submittedDecision and dateSummary of activities
SNDS # 2404132020-06-05Issued NOC
2020-08-19
Submission filed as a Level II – Supplement (Safety) to update the Product Monograph (PM) based on post-market safety information regarding drug reaction with eosinophilia and systemic symptoms (DRESS). The submission was reviewed and considered acceptable. As a result of the SNDS, modifications were made to the Serious Warnings and Precautions Box, Warnings and Precautions, and Adverse Reactions sections, and Part III: Patient Medication Information. An NOC was issued.
SNDS-C # 2293152019-06-28Issued NOC
2020-04-21
Submission filed as a Level I – Supplement in response to commitments made as per the provisions of the NOC/c Guidance. The submission provided the final clinical study report for the confirmatory Study 101-09. The data were reviewed and considered acceptable. As a result of the submission, the conditions were removed from the NOC that had been issued 2015-03-27.
SNDS # 2124112017-12-22Issued NOC
2018-07-04
Submission filed as a Level I - Supplement to extend the shelf-life of Zydelig tablets. There are no changes to the PM as result of this SNDS. The data were reviewed and considered acceptable, and an NOC was issued.
NC # 2106482017-10-26Issued NOL
2018-02-21
Submission filed as a Level II (120 day) Notifiable Change to update the PM. As a result of the NC, modifications were made to the Warnings and Precautions, and Toxicology sections of the PM. The submission was reviewed and considered acceptable, and an NOL was issued.
NC # 2098132017-10-02Issued NOL
2018-01-24
Submission filed as a Level II (90 day) Notifiable Change to update the PM with new safety information. As a result of the NC, modifications were made to the Warnings and Precautions, Adverse Reactions, and Dosage and Administration sections of the PM, and corresponding changes were made to the PM Part III: Patient Medication Information. The submission was reviewed and considered acceptable, and an NOL was issued.
SNDS # 1869272015-08-13Cancellation Letter Received
2017-12-20
Submission filed as a Level I - Supplement for an expanded indication to include the use in combination with ofatumumab for relapsed chronic lymphocytic leukemia (CLL), and to include combination use for first-line treatment in patients with a 17p deletion and/or TP53 mutation form of CLL. An NOD was issued 2016-05-12 due to deficiencies in the safety data that prevented a full assessment of the risk profile. A response to the NOD was filed. The sponsor subsequently cancelled the submission.
Summary Safety Review postedNot applicablePosted
2017-12-15
Summary Safety Review posted for Zydelig.
SNDS # 2035132017-03-06Cancellation Letter Received
2017-12-07
Submission filed as a Level I – Supplement for an expanded indication to include the use in combination with bendamustine and rituximab for the treatment of relapsed chronic lymphocytic leukemia. The sponsor cancelled the submission before Health Canada had completed the review.
New safety review started by Health CanadaNot applicableStarted between
2017-03-01
Health Canada started a safety review for Zydelig between 2017-03-01 and 2017-03-31.
SNDS-C # 1878822015-09-21Issued NOC under NOC/c Guidance
2017-04-13
Submission filed as a Level I - Supplement to provide an updated analysis of the pivotal study, Study 101-09, fulfilling one of the conditions of market authorization for the indication of follicular lymphoma (FL). The submitted data prevented a full assessment of the risk profile. An NOD was issued 2016-05-12. In the response to the NOD, the sponsor submitted an updated analysis of this study. These results continue to support a positive benefit-risk profile of Zydelig monotherapy in the indicated patient population with FL refractory to both rituximab and an alkylating agent. An NOC under the NOC/c Guidance was issued.
Summary Safety Review postedNot applicablePosted
2017-03-03
Summary Safety Review posted for Zydelig.
SNDS # 1918282016-02-01Issued NOC
2016-09-02
Submission filed as a Level I – Supplement for the addition of a manufacturing and testing site for the drug substance and for the addition of another testing site for particle size testing of the drug substance. The data were reviewed and considered acceptable, and an NOC was issued.
NC # 1940042016-04-06Issued No Objection Letter
2016-09-01
Submission filed as a Level II (90 day) Notifiable Change (Risk Management Change) to update the Product Monograph (PM) with recent safety information as a result of a newly identified safety signal for idelalisib. As a result of the Notifiable Change, additions were made to the Contraindications, Warnings and Precautions, Adverse Reactions, and Dosage and Administration sections of the PM, and corresponding changes were made to the PM Part III: Consumer Information. The submission was reviewed and considered acceptable, and a No Objection Letter was issued.
Dear Healthcare Professional Letter postedNot applicablePosted
2016-05-03
Dear Healthcare Professional Letter posted, containing important safety information for healthcare professionals and the general public.
New safety review started by Health CanadaNot applicableStarted between
2016-04-01
Health Canada started a safety review for Zydelig between 2016-04-01 and 2016-04-30.
Information Update postedNot applicablePosted
2016-03-17
Information Update posted.
NC # 1897932015-11-20Issued No Objection Letter
2016-02-25
Submission filed as a Level II (90 day) Notifiable Change (Risk Management Change) to update the Product Monograph (PM) with additional safety information on reported cases of Stevens-Johnson Syndrome and Toxic Epidermal Necrolysis. As a result of the Notifiable Change, modifications were made to the Serious Warnings and Precautions box, Warnings and Precautions, and Adverse Reactions sections of the PM. Corresponding changes were made to the PM Part III: Consumer Information. The submission was reviewed and considered acceptable, and a No Objection Letter was issued.
Drug product (DINs 02438798, 02438801) market notificationNot applicableDate of first sale:
2015-04-21
The manufacturer notified Health Canada of the date of first sale pursuant to C.01.014.3 of the Food and Drug Regulations
NDS # 1726522014-02-28Issued NOC under the NOC/c Guidance
2015-03-27
Notice of Compliance issued for New Drug Submission under the NOC/c Guidance.
Summary Basis of Decision (SBD) for Zydelig

Date SBD issued: 2015-07-20

The following information relates to the new drug submission for Zydelig.

Idelalisib, 100 mg and 150 mg, tablets, oral

Drug Identification Number (DIN):

  • 02438798 - 100 mg, tablet
  • 02438801 - 150 mg, tablet

Gilead Sciences Canada Inc.

New Drug Submission Control Number: 172652

On March 27, 2015, Health Canada issued a Notice of Compliance to Gilead Sciences Canada, Inc. for the drug product Zydelig.

The market authorization was based on quality (chemistry and manufacturing), non-clinical (pharmacology and toxicology), and clinical (pharmacology, safety, and efficacy) information submitted. Based on Health Canada's review, the benefit/risk profile of Zydelig is favourable for the two indications, as follows:

Follicular Lymphoma (authorized with conditions)
Zydelig (idelalisib) is indicated as a monotherapy for the treatment of patients with follicular lymphoma (FL) who have received at least two prior systemic regimens and are refractory to both rituximab and an alkylating agent.

Chronic Lymphocytic Leukemia (authorized without conditions)
Zydelig (idelalisib) is indicated in combination with rituximab for the treatment of patients with relapsed chronic lymphocytic leukemia (CLL).

The product was authorized under the Notice of Compliance with Conditions (NOC/c) Guidance for one of its two indicated uses on the basis of the promising nature of the clinical evidence, and the need for further follow-up to confirm the clinical benefit for this use. Patients and healthcare providers should be aware that the market authorization was issued with conditions for its indicated use in follicular lymphoma; market authorization was issued without conditions for the indicated use in chronic lymphocytic leukemia.

1 What was approved?

Zydelig, an antineoplastic agent, was authorized for use for the following two indications:

  • As a monotherapy for the treatment of patients with follicular lymphoma (FL) who have received at least two prior systemic regimens and are refractory to both rituximab and an alkylating agent. Marketing authorization for this indication was issued with conditions, pending the results of studies to verify its clinical benefit. Healthcare providers and patients should be aware of the nature of the authorization.
  • In combination with rituximab for the treatment of patients with relapsed chronic lymphocytic leukemia (CLL). Effectiveness of Zydelig in combination with rituximab is based on progression-free survival (PFS) benefit with limited follow up in a study of patients who were not fit to receive cytotoxic therapy. Marketing authorization for this indication was issued without conditions. Refer to the Rituxan Product Monograph for rituximab product information.

In clinical studies of Zydelig in patients with FL or CLL, there were no major differences in effectiveness in patients 65 years of age or older compared to younger patients. However, in patients over the age of 65 years, adverse events were more common and led more frequently to negative outcomes.

The safety and efficacy of Zydelig in the pediatric population (less than 18 years of age) have not been established.

Zydelig is contraindicated in patients with known hypersensitivity to any of the components of the product. Zydelig was approved for use under the conditions stated in the Zydelig Product Monograph taking into consideration the potential risks associated with the administration of this drug product.

Zydelig (100 mg and 150 mg, idelalisib) is available in tablet form. In addition to the medicinal ingredient, the tablet contains croscarmellose sodium, hydroxypropyl cellulose, magnesium stearate, microcrystalline cellulose, polyethylene glycol, polyvinyl alcohol, sodium starch glycolate, talc, and titanium dioxide.

The 100 mg (orange) tablets are film-coated with a material containing: FD&C Yellow #6/Sunset Yellow FCF Aluminum Lake, polyethylene glycol, talc, polyvinyl alcohol, and titanium dioxide.

The 150 mg (pink) tablets are film-coated with a material containing: red iron oxide, polyethylene glycol, talc, polyvinyl alcohol, and titanium dioxide.

For more information, refer to the Clinical, Non-Clinical, and Quality (Chemistry and Manufacturing) Basis for Decision sections.

Additional information may be found in the Zydelig Product Monograph, approved by Health Canada and available through the Drug Product Database.

2 Why was Zydelig approved?

Health Canada considers that the benefit/risk profile of Zydelig is favourable for the two indications, as follows:

Authorization of Zydelig with conditions for the indication of follicular lymphoma (FL) was based on one Phase II, single-arm trial that enrolled 125 refractory and pre-treated indolent non-Hodgkin's lymphoma (iNHL) patients comprised of 4 disease subpopulations. Only the FL subpopulation in the study had a sufficient number of patients for an adequate evaluation. Based on this subpopulation of 72 FL patients treated with Zydelig, a complete tumour response was demonstrated in 6 patients and a partial tumour response was demonstrated in 33 patients, for an overall response rate (ORR) of 54.2%. Due to the limited time of treatment exposure (as this study is ongoing), the median duration of response (DOR) was not reached; however, the data suggest a DOR of at least 6 months. Overall, the efficacy of Zydelig demonstrates an encouraging tumour response; however, the durability of the response could not be estimated due to the immaturity of the data. Final results from this pivotal study are required to confirm the efficacy of Zydelig monotherapy for the indication of FL.

Authorization without conditions was granted for the use of Zydelig in combination with rituximab for the treatment of patients with relapsed chronic lymphocytic leukemia (CLL). The market authorization for this indication was based on a Phase III, randomized study which compared Zydelig in combination with rituximab (Zydelig + rituximab) to rituximab alone (placebo + rituximab) in patients with relapsed CLL. The primary endpoint was progression-free survival (PFS) and there was a clinically meaningful PFS benefit for Zydelig + rituximab versus placebo + rituximab corresponding to a hazard ratio of 0.18 [95% confidence interval (CI): 0.10, 0.32, p <0.0001]. The median PFS was not reached in the Zydelig + rituximab arm and was 5.5 months in the placebo + rituximab arm. The overall response rate (ORR) was significantly higher in the Zydelig + rituximab arm (74.5%) than in the placebo + rituximab arm (14.5%). Consistent results were also observed in the subgroup analyses.

For both the FL and CLL indications, adverse events associated with Zydelig include hepatotoxicity, diarrhea, and pneumonitis. These events are listed in a Serious Warnings and Precautions Box in the Zydelig Product Monograph. Hepatotoxicity was a very common adverse event observed in all safety and efficacy studies, and included Grade 3 or higher transaminitis events. Severe diarrhea/colitis was commonly reported and responded poorly to antimotility agents. Some cases had a fatal outcome. Pneumonitis, including fatal cases, was an uncommon adverse event. Other adverse events associated with Zydelig included neutropenia and cutaneous reactions.

A Risk Management Plan (RMP) for Zydelig was submitted by Gilead Sciences Canada Inc. to Health Canada. Upon review, the RMP was considered to be acceptable. The RMP is designed to describe known and potential safety issues, to present the monitoring scheme and, when needed, to describe measures that will be put in place to minimize risks associated with the product.

For the FL indication, due to promising efficacy results and an acceptable safety profile, Zydelig was authorized under the Notice of Compliance with Conditions (NOC/c) Guidance. Confirmation of the durability of the tumour response is required before approval without conditions is considered. For the CLL indication, approval without conditions was granted, as the evidence of clinical effectiveness was substantial and the benefits of treatment were shown to outweigh the risks in this patient population.

Zydelig has an acceptable safety profile based on the non-clinical data and clinical studies. The identified safety issues will be managed through labelling. Appropriate warnings and precautions are in place in the Zydelig Product Monograph to address the safety concerns. In addition, for the indication of follicular lymphoma, as outlined under the NOC/c Guidance, enhanced safety monitoring of Zydelig will continue and further evaluation will take place upon the submission of the requested confirmatory studies when they become available.

This New Drug Submission complies with the requirements of sections C.08.002 and C.08.005.1 and therefore Health Canada has granted the Notice of Compliance pursuant to section C.08.004 of the Food and Drug Regulations. For more information, refer to the Clinical, Non-Clinical, and Quality (Chemistry and Manufacturing) Basis for Decision sections.

3 What steps led to the approval of Zydelig?

A New Drug Submission (NDS) for Zydelig was filed with Health Canada on February 28, 2014. Subsequent review led to the decision to issue the sponsor market authorization under the Notice of Compliance with Conditions (NOC/c) Guidance, in recognition of the promising but unconfirmed evidence of clinical effectiveness in the submission for the follicular lymphoma indication. In keeping with the provisions of the NOC/c Guidance, the sponsor agreed to provide additional information to confirm the clinical benefit. Market authorization was issued without conditions for the other proposed indication, the treatment of relapsed chronic lymphocytic leukemia (CLL).

Submission Milestones: Zydelig

Submission MilestoneDate
Pre-submission meeting:2013-11-13
Submission filed:2014-02-28
Screening
Screening Acceptance Letter issued:2014-04-25
Review
Quality Evaluation complete:2015-02-12
Clinical Evaluation complete:2015-03-26
Labelling Review complete:2015-03-17
Notice of Compliance with Conditions (NOC/c) Qualifying Notice issued:2015-02-19
Response filed (Letter of Undertaking):2015-02-25
Notice of Compliance (NOC) issued by Director General under the Notice of Compliance with Conditions (NOC/c) Guidance:2015-03-02

The Canadian regulatory decision on the non-clinical and clinical review of Zydelig was based on a critical assessment of the Canadian data package. The foreign reviews completed by the European Union's centralized procedure European Medicines Agency (EMA) and the United States Food and Drug Administration (FDA) were used as an added reference.

For additional information about the drug submission process, refer to the Management of Drug Submissions Guidance.

4 What follow-up measures will the company take?

In addition to requirements outlined in the Food and Drugs Act and Regulations, and in keeping with the provisions outlined in the Notice of Compliance with Conditions (NOC/c) Guidance, in order to confirm the clinical benefit of Zydelig as a monotherapy for the treatment of patients with follicular lymphoma, the sponsor has agreed to provide the following:

  • Interim topline analysis for the most recent analysis (data cut of 11 June 2014) of Study 101-09, a Phase II Study to Assess the Efficacy and Safety of Idelalisib in Subjects with Indolent B-Cell Non-Hodgkin Lymphomas Refractory to Rituximab and Alkylating Agents.
  • The final study report for Study 101-09, a Phase II Study to Assess the Efficacy and Safety of Zydelig in Subjects with Indolent B-Cell Non-Hodgkin Lymphomas Refractory to Rituximab and Alkylating Agents. The study is anticipated to complete in May 2015 and the clinical study report is expected in December 2015.

As part of the marketing authorization for Zydelig, the sponsor also agreed to several commitments to be addressed post-market. These commitments include (but are not limited to):

  • Report(s) of all serious adverse drug reactions (ADRs) that occurred in Canada and all serious unexpected ADRs that occurred outside of Canada should be forwarded within 15 days to the Marketed Health Products Directorate (MHPD), in accordance with the current Food and Drug Regulations (C.01.017) and guidance documents.
  • Annual safety summary reports should be provided to the Therapeutic Products Directorate in a manner deemed consistent with the current Guidance Document: Notice of Compliance with Conditions (NOC/c).
  • An up-to-date, complete listing of ongoing additional clinical studies related to Zydelig (idelalisib) appended to the draft Letter of Undertaking, as per Section 4.5 of the Guidance for Industry: Notice of Compliance with Conditions.

6 What other information is available about drugs?

Up to date information on drug products can be found at the following links:

7 What was the scientific rationale for Health Canada's decision?
7.1 Clinical basis for decision

Clinical Pharmacology

Absolute bioavailability of idelalisib (the medicinal ingredient in Zydelig) is unknown but is expected to be high based on pharmacokinetic parameters and metabolite profiles. Limited data indicate that administration with food increases the exposure [area under the curve (AUC)] to idelalisib, however specific recommendations regarding food intake in relation to Zydelig administration are not necessary as the changes in idelalisib pharmacokinetics were modest and in the pivotal clinical studies Zydelig was administered without regard to food. Idelalisib is metabolized primarily by aldehyde oxidase and to a lesser extent by cytochrome P450 (CYP) 3A and glucuronidation by uridine 5'diphospho glucuronosyltransferase (UGT) 1A4. The primary metabolite, GS-563117 is an oxidative product that is inactive against phosphatidylinositol 3-kinase (PI3K), but is an irreversible inhibitor of CYP3A. Excretion of idelalisib and its metabolites is predominantly via the feces. The mean terminal half-life of idelalisib ranged from 6 to 12 hours.

Although there was no statistically significant effect of age on idelalisib pharmacokinetics, clinical safety findings (including serious adverse events, discontinuations and deaths due to adverse events) occurred more frequently among elderly patients. Idelalisib has not been studied in the pediatric population.

Preliminary data of a dedicated pharmacokinetic study indicate 1.7 fold increases in exposure in healthy volunteers with moderate and severe hepatic impairment; however patients with hepatic impairment were excluded from safety and efficacy studies of Zydelig due to its well-established hepatotoxic risk. Safe dosing recommendations can therefore not be made in patients with severe hepatic impairment. In healthy volunteers, idelalisib had no clinically significant effect on the QT interval and renal impairment had no clinically significant effects on idelalisib pharmacokinetics.

Idelalisib is a weak substrate of CYP3A, and the primary circulating metabolite, GS-563117, is a strong CYP3A inhibitor. In clinical drug-drug interaction studies, ketoconazole, a strong CYP3A inhibitor, increased idelalisib exposure [area under the curve from time zero extrapolated to the infinite time (AUCinf)] by 79%, while rifampin, a strong CYP3A inducer, reduced idelalisib exposure by 75%. In a clinical drug-drug interaction study, exposure to a CYP3A substrate, midazolam, was increased by 440% with concomitant idelalisib, consistent with the identification of GS-563117 as an irreversible strong inhibitor of CYP3A. Therefore, concomitant use of Zydelig with narrow therapeutic index CYP3A substrates and with strong CYP3A inducers is not recommended. Warning statements are included in various sections of the Product Monograph including in Warnings and Precautions and Drug Interactions.

For further details, please refer to the Zydelig Product Monograph, approved by Health Canada and available through the Drug Product Database.

Clinical Efficacy

Follicular Lymphoma

The safety and efficacy of Zydelig was assessed in Study 101-09, a Phase II, single-arm, multicentre clinical study that enrolled 125 refractory and pre-treated indolent non-Hodgkin's lymphoma (iNHL) patients. Four disease subtypes under the umbrella classification of iNHL were eligible for enrollment: follicular lymphoma (FL) (72 patients); small lymphocytic lymphoma (28 patients); marginal zone lymphoma (15 patients); and lymphoplasmacytic lymphoma/Waldenstrom's macroglobulinaemia (10 patients). Only the FL subpopulation had a sufficient number of patients for regulatory evaluation.

During the study, patients received 150 mg of Zydelig taken orally twice daily until there was evidence of disease progression or unacceptable toxicity. Tumour response was assessed according to the revised International Working Group response criteria for malignant lymphoma. The primary endpoint was overall response rate (ORR) as assessed by an independent review committee (IRC). Secondary endpoints included duration of response (DOR), progression-free survival (PFS), and overall survival (OS).

In the FL sub-population, the median age was 62 years (range 33 to 84), 54% were male, and 90% were Caucasian. At enrollment, 92% of patients had a baseline Eastern Cooperative Oncology Group (ECOG) performance status of 0 or 1. The median time since diagnosis was 4.7 years and the median number of prior treatments was 4 (range 2 to 12). The most common prior combination regimens were:

  1. rituximab, cyclophosphamide, doxorubicin, vincristine, and prednisone (R-CHOP) 49%;
  2. bendamustine and rituximab (BR) 50%; and
  3. rituximab, cyclophosphamide, vincristine, and prednisone (R-CVP) 28%.

At baseline, 33% of patients had extranodal involvement and 26% had bone marrow involvement. Twenty-one patients (23.2%) had disease classified as Grade 1, 39 (54.2%) had disease classified as Grade 2, and 12 (16.7%) had disease classified as Grade 3a.

The primary endpoint, ORR, was achieved in 39 patients (54.2%). A complete tumour response was observed in 6 patients (8.3%). The median DOR was not reached; however, the Kaplan-Meier curve suggests a median DOR of at least 6 months.

Overall, the efficacy analysis for monotherapy in the FL population demonstrates a tumour response that is substantial; however, the durability of the response could not be assessed with confidence due to the short median time of drug exposure. Overall, the efficacy observed in the pivotal study is premature and final results from this study will be needed for confirmation of clinical benefit.

Chronic Lymphocytic Leukemia

The safety and efficacy of Zydelig was assessed in chronic lymphocytic leukemia (CLL) in Study 312-0116. This study was a Phase III, randomized, double-blind, placebo-controlled study conducted in 220 patients with relapsed CLL who required treatment but were not considered suitable for cytotoxic chemotherapy based on one of the following criteria: Cumulative Illness Rating Score (CIRS) >6; estimated creatinine clearance (CrCl) <60 mL/min; Grade ≥3 neutropenia or Grade ≥3 thrombocytopenia resulting from myelotoxic effects of prior therapy with cytotoxic agents. Patients were randomized 1:1 to receive 8 cycles of rituximab (first cycle at 375 mg/m², subsequent cycles at 500 mg/m²) in combination with either an oral placebo twice daily or with 150 mg of Zydelig taken twice daily until development of disease progression or unacceptable toxicity.

The median age was 71 (range 47, 92) with 78.2% of patients over 65 years of age. 65.5% of patients were male, 90.0% were Caucasian, 64.5% had a Rai stage of III or IV, and 55.9% had Binet Stage C. Patients had a median CIRS score of 8; 81 (36.8%) had cardiac, 114 (51.8%) had respiratory, 87 (39.5%) had renal, and 93 (42.3%) had endocrine/metabolic comorbidities. Two hundred and six patients (93.6%) had three or more organs with comorbidities and 82 (37.3%) had severe (score of 3 or higher in any system) comorbidities. The median number of prior therapies was 3.0 (range 1-12). Nearly all (95.9%) patients had received prior anti-CD20 monoclonal antibodies. The most common (>15%) prior regimens were: bendamustine + rituximab (98 patients, 44.5%), fludarabine + cyclophosphamide + rituximab (75 patients, 34.1%), single-agent rituximab (67 patients, 30.5%), fludarabine + rituximab (37 patients, 16.8%), and chlorambucil (36 patients, 16.4%). Most patients had adverse cytogenetic prognostic factors: 43.2% had a 17p deletion (deletion on the short arm of chromosome 17) and/or tumour protein p53 (TP53) gene mutation, and 83.6% had an unmutated immunoglobulin heavy chain variable (IGHV) gene.

The primary endpoint was PFS, defined as the interval from randomization to the earlier of the first documentation of definitive progressive disease or death from any cause. Definitive disease progression was based on standard criteria; however, lymphocytosis alone was not considered evidence of disease progression. Other key efficacy outcomes defined in the study protocol included ORR and overall survival. Overall survival results were limited to 26 reported events (12% of the total patient population) at the second interim analysis and are not included in the Product Monograph. The PFS and ORR results reported in the Product Monograph were based on evaluation by an IRC.

There was a clinically significant benefit in PFS for Zydelig + rituximab versus placebo reported following the first and second pre-specified interim analyses. Data reviewed following the second interim analysis reported a hazard ratio of 0.18 [95% confidence interval (CI): 0.10, 0.32, p<0.0001] in favour of the Zydelig + rituximab arm. The median PFS was not reached in the Zydelig + rituximab arm and was 5.5 months in the placebo + rituximab arm.

Overall response rates were significantly higher in the Zydelig + rituximab (74.5%) than in the placebo + rituximab arm (14.5%). Improvements in responses in the Zydelig + rituximab arm were driven by partial responses; complete responses were not achieved in either arm. Subgroup analyses in PFS and ORR also gave consistent results in patients for whom current treatment options have limited efficacy (17p deletion, IGHV unmutated).

The efficacy data reviewed demonstrates substantial evidence of clinical effectiveness for Zydelig in the treatment of patients with relapsed CLL. It is not possible, however, to rule out a contribution of rituximab to the observed effects, supporting the decision to indicate Zydelig in combination with this agent.

For more information, refer to the Zydelig Product Monograph, approved by Health Canada and available through the Drug Product Database.

Clinical Safety

Follicular Lymphoma

The safety evaluation of Zydelig for the treatment of patients with follicular lymphoma was based on safety data from 352 patients with hematological malignancies. Of these 352 patients, 200 were diagnosed with iNHL, of which 146 received the indicated oral dose of 150 mg daily. In the overall safety database, the median duration of exposure to Zydelig was relatively short at months. Seventy-eight patients received Zydelig for ≥12 months.

In the population of iNHL patients who received Zydelig at 150 mg, the safety profile generally mirrored the overall safety database. Almost all patients had at least one treatment emergent adverse event (AE) (82% had any Zydelig-related AE and 71% of patients had a grade 3 or higher AE). Approximately 50% of patients had a serious AE, including: pneumonia (15%), diarrhea (11%), and pyrexia (9%). Serious AEs were considered Zydelig-related in 30% of patients. Deaths related to AEs occurred in 8.2% of patients. Adverse events leading to dose reduction and discontinuations occurred in 23% and 25% of patients, respectively. Specifically, the AEs of transaminitis, diarrhea/colitis and pneumonitis were identified as AEs of concern.

Transaminitis occurred in over 40% of patients and elevations of alanine aminotransferase (ALT) or aspartate aminotransferase (AST) Grade 3 or higher occurred in 12-18% of patients. Generally, transaminitis was asymptomatic and successfully treated with dose interruption. Nearly all events resolved to Grade 1 or lower. There were no fatalities.

Diarrhea was the most common AE observed in all patients treated with Zydelig monotherapy (47%) and Grade 3/4 diarrhea/colitis was reported in 14% of patients in the monotherapy population. Time of onset for the more severe cases was later in treatment at a median onset of 5.3 months. Treatment consisted of interruption of Zydelig and various anti-diarrheal and anti-inflammatory drugs, including budesonide, mesalamine and systemic steroids, as well as supportive care. Resolution occurred in the majority of patients (85%) at a median of one month. There were no fatalities secondary to diarrhea/colitis.

Pneumonitis occurred in 2.5% of patients, unpredictably throughout treatment, and there was one fatality in the iNHL monotherapy population. Pneumonitis can be a fatal disease and its accurate diagnosis is sometimes difficult in the presence of other respiratory adverse events, such as pneumonia, that can occur commonly in this population.

Overall, in the monotherapy safety database, there is a moderate level of toxicity observed in the iNHL patient population which required a significant degree of drug modification (dose interruption, dose reduction and drug discontinuation). Although the level of toxicity does not preclude a positive benefit/risk assessment, prescribers and patients need to be fully informed of the risks associated with Zydelig use. Specifically, these risks include, but are not limited to, transaminitis, diarrhea/colitis and pneumonitis.

Chronic Lymphocytic Leukemia

The safety profile of Zydelig for the treatment of patients with relapsed chronic lymphocytic leukemia (CLL) was primarily based on the Phase III study previously described in the Clinical Efficacy section. In patients who were treated with Zydelig + rituximab, the most common AEs were pyrexia (35%, 38 patients), neutropenia (27%, 30 patients), and nausea (25%, 28 patients), whereas infusion-related reactions, fatigue, and cough were most common in the placebo + rituximab arm. The AEs most commonly reported as drug-related in Zydelig treated patients were diarrhea (10%, 11 patients), neutropenia (11%, 12 patients), and fatigue (9.1%, 10 patients). Grade 3 AEs assessed as related to Zydelig were: neutropenia (7.3%, 8 patients), diarrhea (3.6%, 4 patients), increase in alanine aminotransferase (ALT), pneumonitis (each 2.7%, 3 patients), increase in transaminases, and colitis (each 1.8%, 2 patients).

Deaths related to AEs occurred in 3 (2.7%) of Zydelig-treated patients. Two additional Zydelig-treated patients died during the study due to disease progression-related causes. Thirteen placebo patients died, primarily due to disease progression-related causes. Adverse events leading to dose reduction and discontinuations occurred in 15% and 10% of Zydelig-treated patients, respectively. Specifically, the AEs of transaminitis, diarrhea/colitis, neutropenia, rash and pneumonitis were identified as AEs of concern, although there were no deaths associated with these events.

Transaminitis occurred in 35% of patients and elevations of ALT or AST that were Grade 3 or higher occurred in 8% of patients. Generally, transaminitis was asymptomatic and successfully treated with dose interruption.

Diarrhea was common (21%) and grade 3/4 diarrhea/colitis was reported in approximately 5% of patients

Neutropenia was common in both treatment arms, but was more frequent in the Zydelig-treated patients (37% vs. 27%). Despite this augmentation in risk, Zydelig did not appear to be broadly immunosuppressive, and Zydelig-treated patients generally experienced stabilization or improvement of cytopenias observed at baseline.

Rash was reported in twenty Zydelig-treated patients, and Grade 3 rash was observed in 4 patients (4%), and was responsible for three dose reductions and one discontinuation.

Grade 3 pneumonitis occurred in 3.6% of Zydelig-treated patients and 0.9% of placebo-treated patients, with significant latency.

Conclusion

Rates for the selected AEs described above were lower for CLL patients treated with Zydelig compared to iNHL patients. Dose reductions, interruptions and discontinuations were also lower in CLL patients. These discrepancies were ascribed by the sponsor to a higher level of pre-treatment and associated morbidity in the iNHL patients, as well as implementation of more careful AE management practices in the later CLL pivotal study. Accordingly, the Product Monograph was revised to incorporate the most up-to-date grade-specific adverse event management practices from the CLL pivotal study protocol. Furthermore, the sponsor is currently developing a protocol for a dose optimization study in the iNHL population.

For more information, refer to the Zydelig Product Monograph, approved by Health Canada and available through the Drug Product Database.

7.2 Non-Clinical Basis for Decision

Idelalisib (the medicinal ingredient in Zydelig) selectively inhibits PI3Kδ kinase, which is hyperactive in B-cell malignancies and is central to multiple signaling pathways that drive proliferation, survival, homing, and retention of malignant cells in lymphoid tissues and bone marrow. Idelalisib is a selective inhibitor of adenosine-5'-triphosphate (ATP) binding to the catalytic domain of PI3Kδ, resulting in inhibition of the phosphorylation of the key lipid second messenger phosphatidylinositol (PIP) and prevention of Akt phosphorylation.

Idelalisib induces apoptosis and inhibits proliferation in cell lines derived from malignant B-cells and in primary tumour cells. Idelalisib inhibits homing and retention of malignant B-cells in the tumour microenvironment including lymphoid tissues and the bone marrow.

In vitro, idelalisib did not inhibit human hepatic microsomal cytochrome P450 (CYP) 1A, CYP2C9, CYP2D6 or CYP2B6. Idelalisib inhibited human CYP2C8 and CYP2C19 with half-maximal inhibitory concentration (IC50) values of 13 and 76 µM, respectively. Idelalisib's major circulating metabolite, GS-563117, showed no clinically significant inhibition of CYP1A2, CYP2B6, CYP2C8, CYP2C9, CYP2C19, or CYP2D6. GS-563117 was an irreversible (mechanism-based) inhibitor of CYP3A [inhibition constant (KI): 0.18 µM, rate of enzyme inactivation (kinact): 0.033/min-1]. Inhibition of CYP3A was confirmed in a clinical drug interaction study.

Idelalisib and GS-563117 exhibited weak inhibition of the uridine 5'diphospho- glucuronosyltransferase enzyme UGT1A1 (IC50 values of 42.0 and 22.0 µM, respectively).

In vitro, idelalisib showed moderate concentration-dependent inhibition of P-glycoprotein and organic anion-transporting polypeptide (OATP) 1B1 and OATP1B3. Although idelalisib inhibited P-glycoprotein, breast cancer resistance protein (BCRP), OATP1B1, and OATP1B3 in vitro, clinical drug interaction studies showed no effect of idelalisib on the plasma exposure of digoxin or rosuvastatin, indicating that inhibition of these transporters is unlikely to be clinically significant. Idelalisib did not inhibit organic anion transporter (OAT) 1, OAT3, or organic cation transporter (OCT) 2. GS-563117 was a weak inhibitor of OATP1B1, OATP1B3, OCT2, and did not inhibit BCRP, P-glycoprotein, OAT1 or OAT3. In vitro, idelalisib was a weak inducer of CYP2B6, CYP3A4, CYP2C8, CYP2C9, P-glycoprotein, UGT1A1, and UGT1A4. Given concerns regarding Zydelig-mediated teratogenicity, the Zydelig Product Monograph was revised to capture the unstudied possibility that CYP induction could reduce the efficacy of oral contraceptives.

Carcinogenicity studies with idelalisib have not been conducted. Idelalisib did not induce mutations in the microbial mutagenesis (Ames) assay, was not clastogenic in the in vitro chromosome aberration assay using human peripheral blood lymphocytes. Idelalisib was genotoxic in male rats in the in vivo micronucleus assay at the highest dose of 2,000 mg/kg.

In rats and dogs, the liver (hepatocellular necrosis), lymphoid tissues (lymphoid depletion) and the male reproductive system (hypospermatogenesis) were identified as target organs/tissues of toxicity. Idelalisib may impair fertility in humans.

In pregnant rats treated with idelalisib postimplantation loss, lower mean fetal weights and skeletal development variations were observed. Idelalisib was embryotoxic and teratogenic at dose levels inducing maternal toxicity in rats.

For more information, refer to the Zydelig Product Monograph, approved by Health Canada and available through the Drug Product Database.

7.3 Quality Basis for Decision

The Chemistry and Manufacturing information submitted for Zydelig has demonstrated that the drug substance and drug product can be consistently manufactured to meet the approved specifications. Proper development and validation studies were conducted, and adequate controls are in place for the commercial processes. Changes to the manufacturing process and formulation made throughout the pharmaceutical development are considered acceptable upon review. Based on the stability data submitted, the proposed shelf-life of 24 months is acceptable.

Proposed limits of drug-related impurities are considered adequately qualified [that is (i.e.) within International Conference on Harmonisation (ICH) limits and/or qualified from toxicological studies].

All sites involved in production are compliant with Good Manufacturing Practices.

All non-medicinal ingredients (described earlier) found in the drug product are acceptable for use in drugs according to the Food and Drug Regulations.

None of the excipients used in the manufacture of Zydelig tablets are of human or animal origin.