International biotechs must submit an Investigational New Drug (IND) application to China's National Medical Products Administration (NMPA) through the Center for Drug Evaluation (CDE). The process includes preclinical data submission, clinical trial protocols, and manufacturing information. The NMPA follows a "default approval" system where applications are automatically approved if no objections are raised.
The standard timeline is 60 calendar days from submission. However, for innovative drugs, multi-regional clinical trials (MRCTs), rare diseases, advanced therapies, and breakthrough therapies, the approval timeline can be accelerated to as fast as 30 days. If the CDE requests additional information or clarification, the clock stops until responses are provided. Well-prepared applications often receive approval within the accelerated timeframe when eligible for fast-track pathways.
Yes, China accepts high-quality foreign clinical data, including data from FDA or EMA-approved studies. This can significantly accelerate the development timeline and reduce duplicate studies.
China's regulations are increasingly harmonized with ICH guidelines. Key differences include specific requirements for Chinese population pharmacokinetic studies for certain drug classes, local manufacturing considerations, and unique post-market surveillance requirements.
Not always. The requirement depends on the drug class, mechanism of action, and available data. Small molecules with well-characterized pharmacology may not require bridging studies, while biologics or drugs with ethnic sensitivity considerations may need population-specific data.
Absolutely. China actively encourages participation in global MRCTs. These trials can support simultaneous global regulatory submissions and are often the most efficient approach for international biotechs. GCP ClinPlus has supported 120+ MRCTs since 2003.