Tocilizumab in combination with methotrexate is recommended as an option for the treatment of rheumatoid arthritis in adults if:
the disease has responded inadequately to disease-modifying anti-rheumatic drugs (DMARDs) and it is used as described for tumour necrosis factor (TNF) inhibitor treatments in Adalimumab, etanercept and infliximab for the treatment of rheumatoid arthritis (NICE technology appraisal guidance 130), specifically the recommendations on disease activity and choice of treatment or
January 2016: This bullet point has been updated by NICE technology appraisal guidance 375.
the disease has responded inadequately to DMARDs and a TNF inhibitor and the person cannot receive rituximab because of a contraindication to rituximab, or because rituximab is withdrawn because of an adverse event, and tocilizumab is used as described for TNF inhibitor treatments in NICE technology appraisal guidance on adalimumab, etanercept, infliximab, rituximab and abatacept for the treatment of rheumatoid arthritis after the failure of a TNF inhibitor, specifically the recommendations on disease activity or
the disease has responded inadequately to one or more TNF inhibitor treatments and to rituximab
and the manufacturer provides tocilizumab with the discount agreed as part of the patient access scheme.
People currently receiving tocilizumab for the treatment of rheumatoid arthritis who do not meet the criteria in 1.1 should have the option to continue treatment until they and their clinicians consider it appropriate to stop.
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1.1, 1.2
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Current practice |
Clinical need of patients, including the availability of alternative treatments
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The Committee understood the guidance on adalimumab, etanercept and infliximab for rheumatoid arthritis (NICE technology appraisal guidance 130) recommends TNF‑alpha inhibitors adalimumab, etanercept and infliximab as options for the treatment of adults whose rheumatoid arthritis has responded inadequately to two DMARDs (unless DMARDs are contraindicated), and with a DAS28 score greater than 5.1. The Committee noted that in NICE technology appraisal guidance 130, treatment should normally be initiated with the least expensive drug (taking into account administration costs, required dose and product price per dose) and this may need to be varied in individual cases because of differences in the mode of administration and treatment schedules. It was also aware of certolizumab pegol for the treatment of rheumatoid arthritis (NICE technology appraisal guidance 186) and golimumab for the treatment of rheumatoid arthritis after the failure of previous disease-modifying anti-rheumatic drugs (NICE technology appraisal guidance 225).
For treatment following an inadequate response to DMARDs (including at least one TNF‑alpha inhibitor), the guidance on adalimumab, etanercept, infliximab, rituximab and abatacept for rheumatoid arthritis (NICE technology appraisal guidance 195) recommends rituximab plus methotrexate.
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4.3, 4.4
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The technology |
Proposed benefits of the technology
How innovative is the technology in its potential to make a significant and substantial impact on health-related benefits?
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Tocilizumab has been shown to reduce the rate of progression of joint damage as measured by X-ray and to improve physical function when given in combination with methotrexate.
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2.1
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What is the position of the treatment in the pathway of care for the condition?
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The Committee concluded that there were four possible scenarios for including tocilizumab in the treatment pathway:
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Tocilizumab after two DMARDs as an alternative to TNF‑alpha inhibitors.
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Tocilizumab after TNF‑alpha inhibitors as an alternative to rituximab.
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Tocilizumab after TNF‑alpha inhibitors when a person is intolerant to rituximab or for whom rituximab is contraindicated.
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Tocilizumab as an addition to the treatment pathway after rituximab.
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4.5
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Adverse effects
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The Committee noted the safety data presented by the manufacturer, which reported 27 deaths and a serious adverse event rate of 5.8%. The Committee considered that this adverse event rate was high, but heard that it was comparable with other biological treatments.
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4.2
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Evidence for clinical effectiveness |
Availability, nature and quality of evidence
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The Committee concluded that no evidence for tocilizumab monotherapy within its licensed indication was available, and therefore no recommendations for tocilizumab as a monotherapy could be made.
The Committee considered the evidence on the clinical effectiveness of tocilizumab plus DMARDs compared with placebo plus DMARDs. The Committee concluded that tocilizumab plus methotrexate was clinically effective compared with placebo plus DMARDs when given before TNF‑alpha inhibitors and when given before rituximab.
The Committee then considered the evidence for the relative efficacy of tocilizumab compared with etanercept and compared with rituximab when all treatment strategies were in combination with methotrexate. It understood that tocilizumab had not been compared head-to-head with either etanercept (or any other TNF‑alpha inhibitor) or rituximab, and that indirect evidence had been combined in a mixed treatment comparison for this purpose.
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4.6, 4.7, 4.8
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Relevance to general clinical practice in the NHS
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The Committee did not raise any issues about the relevance of the clinical-effectiveness data to general clinical practice in the NHS.
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N/A
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Uncertainties generated by the evidence
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The mixed treatment comparison assumed that the TNF‑alpha results could be regarded as a class. The Committee noted that the manufacturers had responded to requests to remove the Klareskog trial of etanercept from the analysis because this was a large RCT with unusually high control-arm response rates and did not correspond with the inclusion criteria of the mixed treatment comparison. With this trial removed, the Committee noted that etanercept appeared at least equal to, and possibly had higher efficacy than, tocilizumab.
The Committee considered that limited confidence could be placed in the adjusted ACR response rates in the manufacturer's revised base case. The Committee concluded that using the unadjusted trial estimates in the analyses was more appropriate.
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4.8, 4.9
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Are there any clinically relevant subgroups for which there is evidence of differential effectiveness?
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N/A
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N/A
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Estimate of the size of the clinical effectiveness including strength of supporting evidence
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The Committee concluded that no convincing evidence had been presented to demonstrate the superiority of tocilizumab over etanercept or rituximab, but that the estimates were in a similar range to etanercept and rituximab.
The Committee noted the evidence from the RADIATE trial and, on balance, agreed that tocilizumab was likely to benefit people whose rheumatoid arthritis has responded inadequately to rituximab.
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4.10, 4.11
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Evidence for cost effectiveness |
Availability and nature of evidence
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The manufacturer did not identify any economic evaluations of tocilizumab and developed an economic model for the submission. This was an individual sampling model with a hypothetical homogenous cohort. The model used a lifetime horizon for costs and benefits. It considered the DMARD-IR and TNF-IR populations separately. No evidence on the cost effectiveness of tocilizumab monotherapy was presented.
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3.16
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Uncertainties around and plausibility of assumptions and inputs in the economic model
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In summary the Committee concluded that the best estimate of cost effectiveness of tocilizumab in any position in the treatment pathway should be based on approach 4 to evidence synthesis in which the ACR response rates came from the trials rather than the mixed treatment comparison and used a corrected degradation factor for tocilizumab (see section 3.35). In addition, it concluded that no long-term HAQ improvements with tocilizumab should be assumed.
The economic model incorporated tocilizumab at the discount agreed as part of the patient access scheme.
The manufacturer's analysis had not taken into account extended dominance and that this had an impact on the ICERs. The Committee concluded that the DSU's 2011 exploratory analyses should be used as the basis for determining the cost effectiveness of tocilizumab.
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4.17, 4.18, 4.18
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Incorporation of health-related quality-of-life benefits and utility values
Have any potential significant and substantial health-related benefits been identified that were not included in the economic model, and how have they been considered?
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The Committee noted that the manufacturer's mapping of HAQ scores to EQ‑5D utility values resulted in negative utility values. The Committee heard from the manufacturer that it was possible that there were some people with rheumatoid arthritis who may experience negative utility values. The Committee therefore accepted that the calculation of some ICERs would include negative utility values but concluded that this was acceptable because of the low impact on the ICERs.
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4.14
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Are there specific groups of people for whom the technology is particularly cost effective?
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The Committee heard from the manufacturer that it was seeking a recommendation for tocilizumab as an option along with other biological treatments in the treatment pathway. It therefore considered that there were four possible scenarios for including tocilizumab in the treatment pathway:
Tocilizumab after two DMARDs as an alternative to TNF‑alpha inhibitors.
Tocilizumab after TNF‑alpha inhibitors as an alternative to rituximab.
Tocilizumab after TNF‑alpha inhibitors when a person is intolerant to rituximab or for whom rituximab is contraindicated.
Tocilizumab as an addition to the treatment pathway after rituximab.
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4.5
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What are the key drivers of cost effectiveness?
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The Committee concluded that the improved cost effectiveness of tocilizumab as the first biological treatment compared with etanercept was due to the cost of time on treatment, rather than any substantial differences in clinical or cost effectiveness between tocilizumab and etanercept.
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4.20
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Most likely cost-effectiveness estimate (given as an ICER)
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For the DMARD‑IR population: three sequences were extendedly dominated (less effective than and at least as costly as a combination of other drug sequences). When tocilizumab is the third biological in the sequence the most plausible estimate of the ICER is £28,400 per QALY gained. The Committee accepted that some uncertainty around the point estimates of the ICERs was likely.
For the DMARD‑IR rituximab intolerant population: the Committee noted that the most plausible estimate for the ICER ranged from £10,700 per QALY gained for the sequence in which etanercept followed tocilizumab to £30,100 per QALY gained in the sequence where tocilizumab followed etanercept.
For the TNF‑IR population: the Committee accepted the ICER of £18,500 per QALY gained as the most plausible ICER estimate for tocilizumab following rituximab in this population.
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4.21, 4.22, 4.23
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Additional factors taken into account |
Patient access schemes (PPRS)
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The Department of Health and the manufacturer have agreed that tocilizumab will be available to the NHS with a patient access scheme in which a discount from the list price is applied to original invoices. The level of the discount is commercial in confidence.
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2.4, 5.2
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End-of-life considerations
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N/A
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N/A
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Equalities considerations and social value judgements
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No equalities issues were raised in the appraisal.
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N/A
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