Annex

Hong Kong Smart Design Awards 2024

Retrieved on: 
fredag, maj 24, 2024

- A Stage to Highlight the Creativity and Power of Hong Kong's Smart Designs, Helping Designers Expand Business Opportunities

Key Points: 
  • - A Stage to Highlight the Creativity and Power of Hong Kong's Smart Designs, Helping Designers Expand Business Opportunities
    HONG KONG, May 24, 2024 - (ACN Newswire) - Organized by The Hong Kong Exporters' Association and supported by Create Hong Kong (CreateHK) of the Government of the Hong Kong Special Administrative Region (HKSAR) as the Lead Sponsor, the Hong Kong Smart Design Awards (HKSDA) 2024 held its award ceremony yesterday at the Hong Kong Palace Museum.
  • This allows more original Hong Kong design products to participate in the competition.
  • He was joined by fellow guests and industry representatives, including Mr. Eric Sun, Chairman of The Hong Kong Exporters' Association, and others, who witnessed the presentation of awards to the winning smart design works.
  • Winning Entries Showcase Creative Power of Hong Kong, Elevating Local Original Designs to Global Stage with New Business Opportunities
    Mr. Eric Sun, Chairman of The Hong Kong Exporters' Association, commented "Since the inaugural HKSDA in 2012, this project has been dedicated to discovering outstanding talent in Hong Kong's product design sector.

Reflection paper on use of real-world data in non-interventional studies to generate real-world evidence

Retrieved on: 
tisdag, maj 28, 2024

11

Key Points: 
    • 11

      Reflection paper on use of real-world data in noninterventional studies to generate real-world evidence

      12

      Table of contents

      13

      1.

    • References ............................................................................................ 15

      10

      Reflection paper on use of real-world data in non-interventional studies to generate
      real-world evidence
      EMA/CHMP/150527/2024

      Page 2/16

      44

      1.

    • Introduction

      45

      This reflection paper discusses methodological aspects of non-interventional studies (NIS) using real-

      46

      world data (RWD) in order to generate real-world evidence (RWE) for regulatory purposes.

    • These include absence of randomisation, uncontrolled conditions, non-

      61

      standardised treatments and uncertainties regarding data quality and completeness.

    • The

      63

      increasing ability to capture electronic healthcare data and data from registries is now providing new

      64

      opportunities to use RWD and generate RWE that reflects clinical practice.

    • Scope

      89

      The scope of this reflection paper is the design, conduct and analysis of NIS using RWD to generate

      90

      RWE for regulatory purposes.

    • data collected specifically for the study in

      106

      question, or secondary use of existing data sources.

    • In both cases, attention should be paid to the

      107

      possible selection mechanisms in the data collection, for example the inclusion of specific patients or

      108

      the collection of specific clinical data.

    • Reference to studies with causal objectives in this document does not

      119

      imply an expectation that specific analytical methods will be used.

    • Reflection paper on use of real-world data in non-interventional studies to generate
      real-world evidence
      EMA/CHMP/150527/2024

      Page 4/16

      128

      The legal obligations and regulatory requirements applicable to NIS should be followed.

    • 138

      ?

      Regulation (EU) 2016/679 on the protection of natural persons with regard to the processing of

      139
      140

      personal data and on the free movement of such data.

    • The specific aim of the study forms the basis for the

      164

      selection of data source(s), study design, and analysis approach.

    • Reflection paper on use of real-world data in non-interventional studies to generate
      real-world evidence
      EMA/CHMP/150527/2024

      Page 5/16

      166

      4.2.

    • Reflection paper on use of real-world data in non-interventional studies to generate
      real-world evidence
      EMA/CHMP/150527/2024

      Page 6/16

      208

      ?

      Regional differences in clinical practice and healthcare systems management, e.g.

    • Misclassification can arise at many different

      296

      steps of data collection and extraction: diagnosis, coding, recording, data transformation, data

      297

      aggregation, summarisation, and analysis.

    • Reflection paper on use of real-world data in non-interventional studies to generate
      real-world evidence
      EMA/CHMP/150527/2024

      Page 12/16

      452

      6.4.

    • For these studies, the study protocol should describe:

      456

      ?

      The data elements used to link the data.

    • Heterogeneity

      530

      In multi-database studies, different estimates may be found even when the same protocol is applied

      531

      across all data sources (22).

    • (2023)
      Reflection paper on use of real-world data in non-interventional studies to generate
      real-world evidence
      EMA/CHMP/150527/2024

      Page 15/16

      569
      570

      15.

    • Draft guidance Real-World Data: Assessing Electronic Health Records and Medical Claims
      Data To Support Regulatory Decision-Making for Drug and Biological Products (2021)

      571
      572
      573

      16.

    • Reflection paper on use of real-world data in non-interventional studies to generate
      real-world evidence
      EMA/CHMP/150527/2024

      Page 16/16

Products Management Services (PMS) - Implementation of International Organization for Standardization (ISO) standards for the identification of medicinal products (IDMP) in Europe - Chapter 1

Retrieved on: 
tisdag, maj 28, 2024

Products Management Services (PMS) - Implementation of International Organization for Standardization (ISO) standards for the identification of medicinal products (IDMP) in Europe - Chapter 1

Key Points: 
    • Training .................................................................................................................................................... 13

      Product Management Service (PMS) - Implementation of International Organization for
      Standardization (ISO) standards for the Identification of Medicinal Products (IDMP) in
      Europe
      EMA/676105/2019

      Page 2/13

      Summary of changes
      Following the publication of version 2 in February 2021, the following sections were updated:
      ?

      PMS Registration requirements;

      ?

      Access to data;

      ?

      Training.

    • Scope of this document
      This document has been developed with the goal of facilitating the maintenance and accessibility to
      data on medicinal products for human use in the EU.
    • Scope of PMS
      The scope of PMS is to have harmonised data and definitions to uniquely identify a medicinal product
      based on regulated information (e.g.
    • Therefore, users shall read this chapter in
      conjunction with the 'On-boarding of users to Substance, Product, Organisation and Referentials
      (SPOR) data services' document.
    • In order to start this process the user has to confirm the registration of the relevant organisation in
      Organisation Management Service (OMS).
    • Product Management Service (PMS) - Implementation of International Organization for
      Standardization (ISO) standards for the Identification of Medicinal Products (IDMP) in
      Europe
      EMA/676105/2019

      Page 4/13

      User can check whether the relevant organisation is in OMS by searching using 'Request Access for
      Organizations' at EMA account management.

    • Product Management Service (PMS) - Implementation of International Organization for
      Standardization (ISO) standards for the Identification of Medicinal Products (IDMP) in
      Europe
      EMA/676105/2019

      Page 10/13

      Is the user Organisation
      in OMS?

    • For further information on how data are classified please refer to EU IG
      Chapter 5 and Annex A to Chapter 5.
    • Product Management Service (PMS) - Implementation of International Organization for
      Standardization (ISO) standards for the Identification of Medicinal Products (IDMP) in
      Europe
      EMA/676105/2019

      Page 12/13

      5.

    • Additional information on the location of the training materials
      will be made available in future updates of this chapter.
    • At the time of the PMS go live foreseen in Q2 2024, users will have read-only privileges in PMS.
    • The
      enabling of the write privileges will be released for specific set of PMS data elements at later stage in
      Q4 2024.
    • Product Management Service (PMS) - Implementation of International Organization for
      Standardization (ISO) standards for the Identification of Medicinal Products (IDMP) in
      Europe
      EMA/676105/2019

      Page 13/13

Draft revised Heads of Medicines Agency / European Medicines Agency guidance document on the identification of personal data and commercially confidential information within the structure of the marketing authorisation application dossier

Retrieved on: 
torsdag, april 18, 2024
Steps, Union, Patient, CTD, Syndrome, CCI, Local, Disclosure, Toxicity, Process validation, MAH, Clinical trial, IP, RMP, Pharmacovigilance, Cell, Legislation, Annex, Trial of the century, Escherichia coli, Safety, Pediatrics, INTRODUCTION, Documentation, Prevalence, Vital signs, Tablet, Design, Transparency, Conclusion, Pip, Analysis, European Parliament, INN, Record, Quality, Generic, Biology, CMO, Genotoxicity, Composition, CTIS, Uncontrolled, Health care, European Medicines Agency, Prejudice, Committee, Policy, HCP, Animal, Characterization, Cell bank, Fertility, IRB, CMOS, Risk management, Private law, European Pharmacopoeia, Telephone, Research, Good, Data Protection Directive, Ampere-hour, IEC, QP, Human, Personal data, Labelling, Bibliography, Figure, MAA, R4, Institutional review board, Elucidation, Marketing, M4, ChromeOS, Contract research organization, Mental, Impairment, Toxicokinetics, NCA, Independent, Metabolite, Drug, Risk, Metabolism, GMO, Organ, EMA, Common Technical Document, General Data Protection Regulation, Confidentiality, PPD, PI, Language, DRUG, Privacy, Result, Claimed, Medication, Comparison, Ethics, Drive, PD, Narrative, EEA, Developmental toxicity, Saccharomyces cerevisiae, Pharmacopoeia, PIP, MCB, HMA, Physical chemistry, Midol, Particle size, Council, GCP, European Economic Area, Draft, Fermentation, Overview, Justification, Control, Dicarboxylic acid, Pharmacology, WCB, Expert, Immunogenicity, Data, Study, Publication, European, ICH, Element, Analytical procedures (finance auditing), Name, Common, Guideline, Exceptional circumstances, ID, Liver, Chin Na, Toxicology, Protein primary structure, Immunosuppressive drug, Vaccine

See websites for contact details

Key Points: 
    • See websites for contact details
      Heads of Medicines Agencies www.hma.eu
      European Medicines Agency www.ema.europa.eu

      11

      Table of contents

      12

      Abbreviations .............................................................................................. 3

      13

      Definitions ................................................................................................... 4

      14

      1.

    • redaction, masking,

      68

      hiding) in such a manner that the recipient can no longer attribute the resulting information to a data

      69

      subject and make it identifiable.

    • 81

      Contract Manufacturing Organisation (CMO): shall mean an arrangement under which a

      82

      manufacturer provides upstream manufacturing services under contract on behalf of third-party

      83

      pharmaceutical companies.

    • 94

      Protected Personal Data (PPD): shall mean any personal data which should be protected from

      95

      disclosure.

    • ?Finalised? shall mean that the marketing

      102

      authorisation (MA) has been granted or refused or that the MAA has been withdrawn.

    • The application of the general principles laid down in this guidance is without prejudice to

      106

      national rules on transparency.

    • The guidance should be read in conjunction with the relevant applicable

      107

      legislation and case law on transparency and data protection.

    • 117

      This guidance document is intended to apply to information/documents on medicinal products for

      118

      human use, for which the procedure has been finalised under the national, mutual recognition,

      119

      decentralised and centralised procedures.

    • Third

      124

      parties shall be informed or consulted as needed depending on respective national and European legal

      125

      frameworks.

    • 140

      In the following sections, the agreed principles on PD and CCI are presented, including guidance on

      141

      whether such information can be disclosed.

    • EMA/131365/2024

      Page 5/50

      142

      Any information identified as PD or CCI must be subject to a preliminary review by the EMA/NCA prior

      143

      to the possible disclosure of the information/documents.

    • Principles on the protection of personal data (PD)

      145

      The protection of PD is enshrined in EU legislation; it is a fundamental right of EU citizens.

    • In

      146

      compliance with the applicable European/national legislation, PD should be anonymised in order to

      147

      avoid the disclosure of the document undermining the privacy and integrity of any individual.

    • EMA/NCA applies a risk-based approach to assess which PD elements are to be

      152

      removed from the information/documents in order to limit the risk of re-identification.

    • are included in the MAA dossier because they have a legally

      164

      defined role or responsibility and it is in the public interest to disclose this data.

    • 168

      Applicants are advised that non-essential information (e.g., personal address, personal phone number)

      169

      should not be included in the MAA dossier.

    • The

      183

      confidentiality of records that could identify subjects should be protected, respecting the privacy and

      184

      confidentiality rules in accordance with the applicable regulatory requirement(s).

    • 185

      The applicant remains responsible for compliance with the relevant legislation in cases where such data

      186

      is inadvertently included in the MAA dossier.

    • 188

      EMA/NCA applies a risk-based approach to assess which personal data elements need to be removed

      189

      from the information/documents in order to limit the risk of re-identification.

    • 194

      EMA/NCA applies a risk-based approach to assess which personal data elements need to be removed

      195

      from the information/documents in order to limit the risk of re-identification.

    • 205

      Any proposal to consider information as commercially confidential should be properly justified by the

      206

      owner of the information.

    • In this respect, any reference(s) to the risk of that interest being

      209

      undermined should be foreseeable and not purely hypothetical.

    • 210

      Information that is already in the public domain is not considered to be commercially confidential.

    • Information on the Quality and Manufacturing of medicines

      226

      A general principle regarding quality and manufacturing information is that detailed information could

      227

      be considered commercially confidential but general information should be disclosed.

    • 234

      In general, and if not in the public domain, the names of manufacturers or suppliers of the active

      235

      substance or the excipients are considered commercially confidential.

    • 248

      A general description of the type of test methods used and the appropriateness of the specification is

      249

      not commercially confidential.

    • General information on the fermentation and purification process

      259

      is not commercially confidential, although details including operating parameters and specific material

      260

      requirements are commercially confidential.

    • 273

      A general description of the type of test methods used and the appropriateness of the specification is

      274

      not commercially confidential.

    • In general, the data included in clinical trial study reports is considered to be data that can be

      283

      disclosed once PD has been anonymised.

    • 338

      In each module, a non-exhaustive list of information that may be considered protected personal data (PPD) or commercially confidential information

      332
      333

      339

      (CCI) is included.

    • ?

      Direct contact details such as telephone

      Therefore, please refer to the appropriate sub-

      number, fax number, email, postal address,

      modules hereafter for guidance.

    • ?

      Information that may reveal strategic
      (contractual) agreements

      ?

      Any quality information on the clinical batches

      principal investigator

      that might be included here (such as e.g.

    • ?

      Information that may reveal strategic
      (contractual) agreements

      principal investigator

      Study Reports
      5.3.3.3

      as the evaluation of new formulation, innovative

      number, fax number, email, postal

      Paediatric Development Plan (PIP), etc.

    • This may include taking into

      More Than One Study
      5.3.5.4

      Other Clinical Study Reports

      5.3.6

      Reports of Post-Marketing
      Experience

      5.3.7

      Direct identifiers such as name,
      signature, contact details, etc.

Procedural advice for orphan medicinal product designation: Guidance for sponsors

Retrieved on: 
onsdag, april 3, 2024

Frequently asked questions ................................................................... 10

Key Points: 
    • Frequently asked questions ................................................................... 10

      Procedural advice for orphan medicinal product designation
      EMA/420706/2018

      Page 2/13

      1.

    • This Regulation lays down the procedure for
      the designation of medicinal products as orphan medicinal products and provides incentives for the
      development and placing on the market of designated orphan medicinal products.
    • The Regulation also
      establishes the Committee for Orphan Medicinal Products (COMP) within the European Medicines
      Agency (EMA), which is responsible for examining applications for orphan medicinal product
      designation.
    • As of 28 April 2000, the date this Regulation entered into force, sponsors have been able to
      submit applications for orphan medicinal product designation to the EMA.
    • Procedural advice for orphan medicinal product designation
      EMA/420706/2018

      Page 3/13

      2.

    • Objectives
      In examining an application for orphan medicinal product designation, the COMP will focus on
      determining whether the sponsor has established that the designation criteria are met, i.e.
    • To assist in the development of a policy on orphan medicinal products, an expert network will
      be built up by the Committee, with expert(s) identified as appropriate to be involved in the evaluation
      of applications for orphan medicinal product designation.
    • ?

      The complete application should include:

      Procedural advice for orphan medicinal product designation
      EMA/420706/2018

      Page 5/13

      Document

      Format

      General administrative and scientific information completed online via the portal.

    • Important:
      In preparing an application for orphan medicinal product designation, sponsors are requested to follow
      the Commission guideline (2022/C 440/02) on the format and content of applications for designation
      as orphan medicinal products.
    • Please refer to the Procedural advice on
      appeal procedure for Orphan Medicinal Product Designation (EMEA/2677/01 Rev.3).
    • The grounds for the

      Procedural advice for orphan medicinal product designation
      EMA/420706/2018

      Page 9/13

      appeal should be based only on the original information provided in the application for orphan
      designation.

    • ?

      The European Commission will enter the designated medicinal product in the Community Register
      of Orphan Medicinal Products.

    • General advice
      ?

      Full information on the procedure for orphan medicinal products designation is available on the
      EMA orphan designation website.

    • In accordance with Regulation (EC) No 141/2000 of 16 December 1999, the sponsor may submit an
      application for orphan medicinal product designation to the Agency at any stage of development of the

      Procedural advice for orphan medicinal product designation
      EMA/420706/2018

      Page 10/13

      medicinal product as long as the criteria for designation may be justified.

    • A request for orphan medicinal product designation may be made for
      a new orphan indication for an already authorised medicinal product.
    • Procedural advice for orphan medicinal product designation
      EMA/420706/2018

      Page 11/13

      Which are the sponsor?s options in case of negative outcome for orphan designation?

EudraVigilance registration documents

Retrieved on: 
onsdag, april 3, 2024

Table of contents

Key Points: 
    • Table of contents
      Pre-requisites .............................................................................................. 3
      Registration of the headquarter for Marketing Authorisation Holders
      (MAHs) ........................................................................................................ 3
      Registration of the headquarter for Commercial and Non-commercial
      sponsors ...................................................................................................... 4
      Registration of the headquarter of National Competent Authorities ............ 5

      EudraVigilance registration documents
      EMA/503894/2018

      Page 2/5

      Pre-requisites
      ?

      User registration in the EMA Account Management Portal ? see section 2.1 of the EudraVigilance
      Registration Manual.

    • ?

      Registration of the organisation in the Organisation Management System ? see section 3.3 of the
      EudraVigilance Registration Manual.

    • ?

      Request of the role, as applicable, ?EV MAH EU QPPV? or ?EV NCA Responsible? or ?EV CS/NCS
      Responsible? by the user via the EMA Account Management Portal ? see section 5.2 and Annex
      1 of the EudraVigilance Registration Manual.

    • ?

      Once the role has been requested in the EMA Account Management Portal, a Service Desk ticket
      should be raised to the Registration team, quoting the Request ID number and attaching the
      required documents listed below.

    • Registration of the headquarter for Marketing Authorisation
      Holders (MAHs)
      ?

      A cover letter from the headquarters level of the organisation on a company?s headed paper.

    • EudraVigilance registration documents
      EMA/503894/2018

      Page 3/5

      profile who has completed the courses and is related to the respective organisation.

    • Registration of the headquarter for Commercial and
      Non-commercial sponsors
      ?

      A cover letter from the headquarters level of the organisation on a company?s headed paper.

    • EudraVigilance registration documents
      EMA/503894/2018

      Page 4/5

      Registration of the headquarter of National Competent
      Authorities
      ?

      A cover letter on organisation?s headed paper.

ECB steps up climate work with focus on green transition, climate and nature-related risks

Retrieved on: 
söndag, februari 4, 2024

While existing models have added a financial sector and real estate sector, they have largely overlooked housing supply.

Key Points: 
  • While existing models have added a financial sector and real estate sector, they have largely overlooked housing supply.
  • I develop an extended DSGE model that includes both the financial sector and endogenous housing supply and show that forecasting accuracy significantly improves when data on new houses is included.
  • The findings highlight the necessity of combining model extension and housing supply data for accurate forecasting during economic crises.

Explaining the Crosswalk Between Singapore’s AI Verify Testing Framework and The U.S. NIST AI Risk Management Framework

Retrieved on: 
onsdag, januari 24, 2024

On October 13, 2023, Singapore’s Infocomm Media Development Authority (IMDA) and the U.S.’s National Institute of Standards and Technology (NIST) published a “Crosswalk” of IMDA’s AI Verify testing framework and NIST’s AI Risk Management Framework (AI RMF). Developed under the aegis of the Singapore–U.S. Partnership for Growth and Innovation, the Crosswalk is a mapping document [?]

Key Points: 


On October 13, 2023, Singapore’s Infocomm Media Development Authority (IMDA) and the U.S.’s National Institute of Standards and Technology (NIST) published a “Crosswalk” of IMDA’s AI Verify testing framework and NIST’s AI Risk Management Framework (AI RMF). Developed under the aegis of the Singapore–U.S. Partnership for Growth and Innovation, the Crosswalk is a mapping document [?]

New in Monterey County in 2024

Retrieved on: 
tisdag, januari 9, 2024

MONTEREY, Calif., Jan. 9, 2024 /PRNewswire/ -- Comprising 12 naturally connected jurisdictions from Pebble Beach to Carmel Valley, from the sand dunes of Marina to Pinnacles National Park in Soledad, Monterey County's vast mosaic of experiences and endless paths continue to expand, with 2024 bringing new developments, adventures and milestone celebrations. With several new hotels and restaurants, the return of highly anticipated events such as the Pebble Beach Food & Wine Festival, and diverse experiences throughout the county for every interest, a new year welcomes new visitors to find their own path in Monterey County.

Key Points: 
  • With several new hotels and restaurants, the return of highly anticipated events such as the Pebble Beach Food & Wine Festival, and diverse experiences throughout the county for every interest, a new year welcomes new visitors to find their own path in Monterey County.
  • "The diversity and depth of Monterey County experiences beckons continual exploration," said Rob O'Keefe, President and CEO of See Monterey.
  • Monterey is the home of the best quintessential California experiences and 2024 offers abounding opportunities that are life-enriching and reinvigorating."
  • Throughout Monterey County several new, renovated and soon-to-open lodging options will enhance the visitor experience and be a catalyst for exploring the diverse corners of Monterey County.