Regulatory authorities are increasingly engaged in evaluating novel ways to assess health, disease progression and treatment effects, for example, for type 2 diabetes, as highlighted in a recent news article (Nat. Rev. Drug Discov. 15, 666–667; 2016)1. Many view biometric monitoring devices (BMDs) as the path to a deeper understanding of disease processes and the status of patients2. The literature describes these devices using various terms, including digital biomarkers, digital measurement devices, technology-observed measures and biometric monitoring systems. We define a BMD as a biosensor that collects objective data on a biological recognition element (for example, blood glucose or sodium levels), anatomical structure (for example, tumour size, infarct size or hippocampal volume) or integrated physiological parameter (for example, heart rate, blood pressure, electroencephalography, mobility, speech and sleep patterns, social engagement or speed of information processing). These BMDs utilize algorithms to transform these data (signal output) into a format that is interpretable as a specific measure or an aggregate functional outcome3,4,5,6,7,8. Health platforms using biometric monitoring allow efficient collection of real-time high-frequency data with decreased in-clinic assessment time, and dramatically reduce sample size to see population effects9.
BMDs can measure minimally observable changes in characteristics of patients to a higher level of resolution than possible with clinical observation. It is crucial to identify these earliest reliable measures of disease if we are to meet the goal of preventing or minimizing the impact of conditions on the lives of patients. For example, clinical trials in neurodegenerative diseases are becoming increasingly focused on earlier stages of disease to identify individuals who are genetically or otherwise susceptible prior to them developing symptoms. These studies aim to identify the earliest signs in the presymptomatic stage, well before the disease has caused major neurodegenerative damage. Disease is characterized both by symptoms — phenomena that patients report (patient-reported outcome measures (PROs)) — and signs, which are observable measures that are often recorded by evaluator-related means and observer- reported outcomes, or directly measured via performance outcomes (Fig. 1).
The ability of these devices to continuously, remotely and relatively unobtrusively record physical signs increases statistical power, enhancing both the sensitivity and specificity of change detection in those monitored9. By observing personal health and behaviour signs frequently (potentially continuously), reliable assessment of change is more likely. As digital drug development tools (dDDTs), BMDs may objectively augment PROs, and be integrated into the diagnosis, prognosis and treatment of patients. BMDs may identify evolving patterns of perceived normal function, reflecting a harbinger of an ensuing chronic disease state. Furthermore, the ability to measure early signs may enable more precise identification of phenotypic variants of a disease and allow better stratification of relevant subpopulations. In some cases, real-time data acquisition with BMDs may even enable statistical comparisons within an individual9, supporting the practice of personalized medicine. In the long-term, the clinically relevant and actionable data created by BMDs may provide a more comprehensive view of the interrelated biochemical, structural, physiological and behavioural dynamics that occur during health, disease and treatment.
Unfortunately, a lack of clarity remains regarding the appropriate use of BMDs as tools to support drug registration trials. This gap was recently underscored by the newly appointed commissioner of the US FDA, Scott Gottlieb, who announced that the FDA will pilot a new approach towards regulation of digital health tools later this year (see Further information). This commentary provides a high-level roadmap, agnostic to therapeutic area, of key considerations to advance BMDs as objective assessments of clinically relevant end points for capturing the patient's experience in clinical trials, and in real-world observational studies. These considerations were developed by the member organizations of the Coalition Against Major Diseases (CAMD; see Further information). This consortium, founded in 2008, is one of 14 public–private partnerships of the Critical Path Institute, and focuses on creating new drug development tools and methods that advance regulatory science to accelerate the delivery of innovative treatments for various stages of Alzheimer disease, and neurodegenerative diseases with related cognitive and functional impairments.
Key considerations for BMDs
Defining the concept of interest and the context of use. Clear interpretation of data requires careful pre-specified definitions of the information assessed. Therefore, a priority to advance this rapidly evolving field is to methodically define the concept of interest (COI) that a given BMD would measure. In turn, the factors involved in developing and validating a COI will help frame an appropriate context of use (COU) that will be required for drug development clinical trials. Considerations for the conceptual foundations for qualification of clinical outcome assessments by the FDA, and the development of COIs and COUs, have been recently communicated10. Thus, before a BMD can be evaluated for use in a registration study as a dDDT, a rigorous path of validation must be followed (Table 1).
Data standards. One of the opportunities in efficient scaling of BMDs for clinical research is development of data standards. Currently, there is no interoperable uniformity for BMD-derived data. Development of uniform data standards (for example, through adoption of Clinical Data Interchange Standards Consortium (CDISC) methods) would provide a scientifically based consensus on the way to record, structure and report data generated by BMDs. CDISC Foundational Standards provide “the basis for the complete CDISC suite of standards, supporting the clinical and non-clinical research process from protocol through data collection, data exchange, data management, data analysis and reporting” (Table 1). These standards focus on the core principles for defining research data standards and generally represent interest areas that are common across all studies such as demographics, medical history, medication history and concomitant medications, adverse events and other common domains.
The standardization of how data are collected, stored, labelled and tagged allows for the exchange of information, facilitates the pooling of data from different devices, and allows contextualization of the data. For example, recording the timing of data collection of blood glucose readings is critical metadata for understanding whether the measurement occurs after fasting or immediately after a meal. Similarly, when sharing data from multiple actigraphy devices, labelling and tagging data with instrument properties and pre-processing will support data pooling. Providing contextualization and standardization will reduce dependence on black-box and proprietary algorithms, making data comparable at all stages of processing. This would enable processing steps themselves to be treated as a form of data and tracked in the same standardized ontologies in which the data and metadata themselves belong.
Good clinical practice. Within the pharmaceutical industry, the use of BMDs for exploratory work or internal decision- making is becoming a more routine practice. Development of Good Clinical Practice (GCP) standards will be crucial to enable the ethical and correct use of BMD-derived data from later-stage clinical trials for regulatory submission (Table 1).
Creating a global ecosystem. Creation of a unified, global, precompetitive BMD ecosystem including both the medical device and drug development spaces would advance the necessary conversations and provide a network of experts to implement BMD use in future routine health care management (Table 1). These experts would include clinicians, data scientists and managers, psychometricians, pharmacometricians, pharmacoeconomists, regulators and statisticians from the device and pharmaceutical industries, regulatory agencies, academia and government. Accomplishing this objective would augment the ongoing US Precision Medicine Initiative, and could provide an evidence-based path to integrate both clinical drug trial and real-world data.
A unified lexicon of precise terminologies for the potential multitude of BMDs is needed to facilitate dialogue in this community. The glossary developed by the FDA–NIH working group (BEST — Biomarkers, EndpointS, and other Tools — Resource; see Further information) can serve as an important foundation to develop this lexicon.
Standardized data sharing would increase the efficiency of BMD development and accelerate the iterative learning required to support outcome assessments for a particular COU. Multiple organizations are pursuing the advancement of BMDs in parallel, but a lack of appropriate incentives, coupled with insufficient allocation of resources, have created substantial barriers to sharing and assembling patient-level data. One step to help address this could be the establishment of a data-sharing consortium to generate consensus on data standards to accelerate the use of BMDs in clinical drug development.
Providing consensus guidelines for what constitutes sufficient or necessary validation of BMDs depends on the COU and the related health-care decisions. However, if BMDs are used in future registration studies, BMDs should undergo the same psychometric validation process as other clinical outcomes assessments (such as PROs) to be considered reliable and valid measures. Real-time data acquisition with BMDs can enable statistical comparisons within an individual, supporting the practice of personalized medicine. Integration of existing standards with novel methods will require rigorous cross-validation and testing by the medical community. Active dialogue with the regulators is imperative before this work is initiated, and must happen periodically, at important decision points.
Overall, by involving multiple stakeholders in precompetitive, public–private-partnerships, the community could align on principles and advance a clear roadmap to develop, validate and standardize the use of BMDs in various diseases.
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This work was supported, in part, by grant number 1U18FD005320 from the U.S. Food and Drug Administration's Critical Path Public Private Partnerships Grant, and members including: AbbVie, Alzheimer's Association, Alzheimer's Disease Discovery Foundation (ADDF), Alzheimer's Research UK, AstraZeneca, Biogen, Boehringer Ingelheim, CHDI Foundation, Lilly, Merck, Novartis, Pfizer, and UsAgainstAlzheimer's.
The authors declare no competing financial interests.
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Arnerić, S., Cedarbaum, J., Khozin, S. et al. Biometric monitoring devices for assessing end points in clinical trials: developing an ecosystem. Nat Rev Drug Discov 16, 736 (2017). https://doi.org/10.1038/nrd.2017.153
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