New FDA Draft Guidance on Biosimilarity and Interchangeability
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- How may the applicant seek FDA review for licensure for an interchangeable biosimilar, and how does FDA intend to review an application submitted under section 351(k) that seeks licensure as an interchangeable biosimilar and includes data and information sufficient to support licensure of the product as a biosimilar product, but does not contain data and information sufficient to support licensure of the product as an interchangeable biosimilar?
- How should a 351(a) BLA holder proceed if it seeks licensure of its biological product under section 351(k) as biosimilar to or interchangeable with another biological product licensed under section 351(a) (a ?reference product?)?
- Does FDA have recommendations for labeling of interchangeable biosimilars at this time?
- Does FDA recommend that the BLA-holder of an approved interchangeable biosimilar include a labeling statement on interchangeability?