Notes: For frequently asked questions concerning technical issues, China Center for Drug Evaluation (CDE) releases answers on its website. This article is the translation of part of the Q&As, with slight modifications made according to the updated regulations. In case of any discrepancies, CDE's official announcements shall prevail. If you have enquiries about drug applications, please contact BaiPharm for professional help.
Q&A Topics
1. The Submission and Acceptance of Drug Registration Applications; 2. Clinical Trials 3. Bioequivalence (BE) Study 4. Selection of Reference Listed Drugs 5. Quality and Therapeutic Equivalence Evaluation of Generic Drugs 6. R&D Requirements for Biological Products 7. Associated Review and Approval of APIs, Excipients, and Packaging Materials 8. Administration and Requirements for Variations 9. Others
This article covers topics 3, 4, and 5. For Q&As on the first two topics, please refer to the FAQs on Drug Registration Applications & Clinical Trials | China CDE. Stay tuned to us and we will publish the other Q&As soon.

Topic 3: Bioequivalence (BE) Study
Q1: What research documents should be included in the registration application for a drug proposed for biowaiver (waiver of the bioequivalence study)?
- For BCS Class I drugs, the applicant should conduct solubility, dissolution, and intestinal permeability researches.
- For BCS Class III drugs, in addition to the aforementioned researches, the applicant should ensure the proposed drug and the reference drug contain the same types of ingredients, and the ingredients in the proposed drug should be quantitatively similar to those in the reference drug.
Q2: For a drug without a clear BCS class, how should the applicant apply for waiver of the BE study?
Q3: Drug A has two strengths with proportional compositions, which means the ratio between the amount of excipient to the amount of active ingredient(s) is the same for both strengths. Because the stronger strength causes relatively stronger adverse reactions, FDA waives the BE study for the higher strength and permits the lower strength to be used in the BE study.
To apply for NMPA's marketing authorization of drug A's generic version, can the applicant conduct the BE study only on the lower strength version instead of the higher strength version?
Q4: Is unfed bioequivalence study an indispensable part of the bioequivalence study?
Q5: Will the clinical trial approval document be invalidated if the approved drug's manufacturing technique changes before the bioequivalence study?
Q6: Is it mandatory for the company to get GMP certificate before manufacturing the investigational drug samples for the bioequivalence study? Should the drug manufacturing license cover the investigational drugs?
Q7: Among the 289 drugs that were required to complete the quality and therapeutic equivalence evaluations before the end of 2018, 48 drugs were selected by the former China Food and Drug Administration (CFDA) to formulate the draft List of Drugs Whose Bioequivalence Studies in Humans Can Be Waived or Simplified. In the draft, CFDA mentioned that "bioequivalence studies can be waived if the applicant conducts pharmaceutical equivalence evaluations". In this context,
1. If the applicant has decided to use the pharmaceutical equivalence evaluation, is it still mandatory to submit the high solubility data and high permeability data according to the Guidelines on Waiving Bioequivalence Studies in Humans? 2. If the applicant needs to submit the high permeability data, does it need to submit human pharmacokinetics research materials as well? Can the applicant use the pharmacokinetics data from the originator drug's medical package insert? 3. Does the applicant need to submit the document which specifies how the excipient affects the absorption?Q8: When designing the bioequivalence study for a highly variable drug, how can the applicant adjust the bioequivalence criteria appropriately according to the reference drug's intra-subject variability?
Q9: What are the requirements for the stability study, which should be included in the documents for filing chemical drug's bioequivalence study?
Q10: Can the applicant use the reference listed drugs / test drugs from different production batches for unfed and fed bioequivalence respectively in the same bioequivalence study?

Topic 4: Selection of Reference Listed Drugs
Q1: How should the injectable drug's marketing authorization holder select a reference-listed drug (RLD) to conduct the quality and therapeutic equivalence evaluation?
Q2: Does the generic drug company need to buy a new RLD if the previously bought RLD's manufacturer and MAH both changed?
Q3: When developing a generic drug, what if the applicant cannot conduct the stability study starting from the production date because a period of time has passed when the applicant receives the RLD?
Q4: It is mandatory to select the RLD same to the RLD recommended by NMPA (formerly CFDA)?
A4: The applicant does not have to choose RLDs from the RLD lists released by former CFDA. Instead, the applicant can choose the product considered to be equivalent to the RLD to perform as the reference drug according to NMPA's Statement on the Published RLDs (hereafter referred to as the Statement).If the equivalence is too difficult to be proved / is wrong according to the Statement, but there is enough evidence to support the equivalence, the applicant can submit an official document, including the chosen drug's detailed information and relevant materials, to specify the difficulty to prove the equivalence and propose a solution to the Equivalence Evaluation Office, then the Office will discuss the matter with the applicant.
Q5: For a drug without recommended RLDs in the RLD Catalog, if the company filed for a proposed RLD to CDE, what will CDE do about the proposal?
A5: For drugs without recommended RLDs, CDE will regularly discuss the proposed RLDs with experts according to the RLD selection principles in the former CFDA's Announcement on the Work Items about Quality and Therapeutic Equivalence Evaluations of Generic Drugs (No. 100 Announcement in 2017). Based on experts' opinions and the review of new generic versions under the same nonproprietary name, CDE will publish the official RLD lists regularly.
Topic 5: Quality and Therapeutic Equivalence Evaluation
Reference Links
- FAQs on Drug Registration Applications & Clinical Trials | China CDE
- 2021 China CDE Drug Evaluation Report is Out! Free Download Available
- China’s Quality and Therapeutic Equivalence Evaluations of Generic Drugs
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News Resource: ChemLinked
