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COMPARATIVE EFFECTIVENESS RESEARCH:
Threat or Opportunity?
September 22, 2010
Edward E. Berger, Ph.D.
Larchmont Strategic Advisors
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DEFINITION (1)
Comparative Effectiveness Research (CER) is:
the conduct and synthesis of systematic research comparing different interventions and strategies to prevent, diagnose, treat and monitor health conditions*
*Federal Coordinating Council for Comparative Effectiveness Research
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DEFINITION (2)
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… an analysis of comparative effectiveness is simply a rigorous evaluation of the impact of different options that are available for treating a given medical condition for a particular set of patients.*
* Congressional Budget Office
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CER IS NOTHING NEW• National Center for Healthcare Technology
– Within DHHS 1978 – 1981– Several major studies + 75 coverage
recommendations• Office of Technology Assessment
– Advisory agency to Congress 1979 – 1995• Agency for Healthcare Research & Quality
– Within DHHS 1989 – present– 300 staff members, $300 mm annual budget
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CER IS INGRAINED IN REGULATORY PROCESS
• FDA review routinely demands controls– Optimal medical therapy– Established alternative devices/drugs
• Example: LVAD for destination therapy
• CMS Coverage Analysis Group utilizes CER principles in decision making– NETT study of Lung Volume Reduction Surgery– Daily hemodialysis study– Focus on inclusion of > age 65 patient data
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CER CONTROVERSY IS LONG-ESTABLISHED
“The justification for most medical practices used in the United States today rests on the experience and expertise of clinicians and patients rather than on objective evidence that these practices can measurably improve people’s health. Compiling objective evidence is considered by some…highly controversial, because the evidence might be applied in ways that would limit individuals’ choices of medical treatments.”*
* Office of Technology Assessment, 1994
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PERCEIVED CER THREAT HAS SEVERAL ELEMENTS
• The entry wedge for Cost Effectiveness Analysis– Medicare effort (1989) to “back-door” limited
CEA principles• Agencies will not interpret findings
properly and subtly in making policy– Fear of blanket “either-or” decisions
• Government role will lead to restriction on physician practice of medicine
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RECENT DEVELOPMENTS INTENSIFY INTEREST
• Need to control healthcare system costs• Documentation of startling differences in
geographic area utilization rates• Increasing patient involvement in therapy
choice– Web portals
• Personalized medicine revolution– Therapies affect sub-populations differently
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CER COMMITMENT IN 2009 STIMULUS
• Federal Coordinating Council for Comparative Effectiveness Research
• $400 million allocated to DHHS for CER– Research– Human and scientific capital– Data infrastructure– Translation and adoption
• Mandated IOM review of initial priorities
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IOM RECOMMENDATION: TOP CER PRIORITY AREAS
• Health Care Delivery Systems• Racial and Ethnic Disparities• Cardiovascular and Peripheral Vascular Disease• Geriatrics• Functional Limitations and Disabilities• Neurologic Disorders• Psychiatric Disorders• Pediatrics
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CER PROVISIONS OF 2010 HEALTH REFORM LAW
• Created PCORI (Patient Centered Outcomes Research Institute)– Commissions and funds CER studies
• AHRQ, with NIH assistance, responsible for dissemination of findings– Within 90 days of receipt– To all key stakeholders– With specification of relevant populations,
research methods, and limitations of findings11
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FOCUS ON DISSEMINATION OF FINDINGS
• Significant role for AHRQ’s Office of Communication and Knowledge Transfer– Direct outreach to promote incorporation of
CER findings into clinical decision support tools
– Creation of informational tools to support dissemination to physicians, patients, payors and policy makers
– Develop mechanisms for stakeholder feedback on utilization and value of studies
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LAW RESTRICTS CMS USE OF CER FINDINGS
• CMS is prohibited from using CER findings in making coverage policy determinations– Political sop to industry?– Defensive of physician prerogatives and
patient right to choose?– Legitimate questions about methodology and
limitations of findings?– Parallels long-standing prohibition on
consideration of cost
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A “MINDS AND HEARTS” STRATEGY FOR IMPACT
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• Central development of research priorities, agenda, methodological principles
• Funding from the national level• Mandated system-wide distribution of
findings– “Push” information to stakeholders
• Reliance on voluntary incorporation of findings into clinical practices
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PRIVATE INSURERS HAVE MORE FLEXIBILITY
• They can directly incorporate CER findings into coverage policy– Competitive pressures impose limits in fee-
for-service environment• Capitated models and integrated delivery
systems are more fertile ground– Mayo, Geisinger, VA already have “learning
systems” in place– Clinical experience, reflected via HIT, informs
evolving treatment protocols 15
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CHANGING CLINICAL PRACTICE IS HARD TO DO
• Fragmentation of system– Tens of thousands of decision makers
• Already too much information to evaluate and incorporate– Rapid change and instability of findings
• Shortage of time and methodological expertise
• Challenge to “unlearn” what you learned in medical school
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ENABLING CER IMPACT
• System reforms to control cost and enhance quality also enable CER– Sophisticated HIT and decision support
capabilities of integrated delivery systems– Shift in financial incentives accompanying full
or partial capitation models– Increasing importance of widely-promulgated
protocols “approved” by specialty societies • Internet-enabled explosion in consumer
role in clinical decision making 17
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LIMITING FACTORS
• Methodological uncertainties– Continuing distrust of meta-analyses
• Pace of systemic move toward integration• “Generational” resistance from physicians• Fear of shift from “information resource” to
“mandate” and/or “denial of access”• Risk of “turf wars” among stakeholder
groups
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• Coordination of PCORI agenda with privately sponsored CER
• Establishment and promulgation of widely recognized methodological standards for conduct and evaluation of CER studies
• Most effective methods for communicating results to diverse stakeholder groups– With useful reflection of strength and stability
of findings19
PRACTICAL ISSUES TO ADDRESS
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CER WILL → BETTER CHOICES
• This is a threat to– Ineffective therapies/tests/technologies– Over-utilized therapies/tests/technologies– Those with mismatch between demonstrated
utility and current utilization– Under-researched and unproven …
• Positive impact on health outcomes and healthcare resource utilization– Slowly accretive over extended timeframe
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OPPORTUNITIES FOR SOME
• Independent support for– Therapeutics and diagnostics that address
designated high priority areas– Those with well-defined target treatment sub-
groups– Those with unequivocally positive support
from empirical research data – Currently underutilized treatment options
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CER AFFECTS THE COMPETITIVE LANDSCAPE
• Levels the playing field for newer and smaller companies– Public funding for studies that are hard for
young companies to finance– Data banks and registries facilitate data
mining for strategy and product development– 3rd party research, widely disseminated, can
help counter sales/marketing muscle of larger and well-established competitors
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CER AND PERSONALIZED MEDICINE
• CER facilitates the right treatment for the right patient at the right time
• CER reinforces the companion diagnostics “non-blockbuster” business model– Segment patients by likelihood of response– Use segmentation to structure qualifying
research and to lower development costs– Target utilization to achieve higher success
rates and better command of smaller market
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FINAL THOUGHTS
• CER does have the potential to improve outcomes and resource utilization
• The losers from a well-designed and managed CER initiative “deserve” to lose
• Resource differentials between competitors will have diminished effect
• Device and diagnostics developers will need to join Pharma in adapting to a new business and product development model
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Edward E. Berger, Ph.D.Larchmont Strategic Advisors2400 Beacon St., #203Chestnut Hill, MA 02467Tel: 617-645-8452Email:[email protected]
Thank You
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