In the Interim...

The FDA Bayesian Guidance


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In this episode of "In the Interim…", Dr. Scott Berry and Dr. Kert Viele deliver a quick reaction to the FDA’s draft guidance on Bayesian statistics for clinical trials of drugs and biologics. Their assessment addresses the structure, content, and impact of the document, emphasizing evidence-based requirements and guidance scope. The episode breaks down regulatory language, technical expectations, and workflow implications for clinical trial sponsors and statisticians.

Key Highlights

  • Clear distinction between trials justified by type 1 error control and trials justified by agreement on Bayesian priors and decision rule.
  • Explanation of how informative priors can be created based on external or historical data.
  • Technical explanation of dynamic discounting/borrowing, especially in Bayesian hierarchical models for rare populations, pediatric-adult extrapolation, related disease subgroups, and platform and basket trials (e.g., ROAR).
  • In-depth look at the necessity of sensitivity and robustness checks for different priors, and the FDA’s design prior and analysis prior terminology.
  • FDA’s requirements for accepting external data sources: data provenance, patient-level comparability, recency, and appropriate covariate adjustments.
  • Comparison with ICH E20 on adaptive designs, providing context for ongoing regulatory harmonization and possible influence on international regulatory directions.
  • Direct warning against attempts to misuse Bayesian methodology as a substitute for scientific rigor; legitimate uses must meet FDA standards and not simply serve to lower evidentiary bars.


Resource:  FDA News Release:  https://www.fda.gov/news-events/press-announcements/fda-issues-guidance-modernizing-statistical-methods-clinical-trials

For more, visit us at https://www.berryconsultants.com/

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