Risperdal and Invega Cases

CourtCalifornia Court of Appeal
DecidedJune 3, 2020
DocketB284002
StatusPublished

This text of Risperdal and Invega Cases (Risperdal and Invega Cases) is published on Counsel Stack Legal Research, covering California Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Risperdal and Invega Cases, (Cal. Ct. App. 2020).

Opinion

Filed 5/8/20; Certified for Partial Publication 6/3/20 (order attached)

IN THE COURT OF APPEAL OF THE STATE OF CALIFORNIA

SECOND APPELLATE DISTRICT

DIVISION THREE

RISPERDAL AND INVEGA B284315, B284002, CASES B284317

(Los Angeles County Super. Ct. Nos. BC562540, BC583302, BC604937)

(JCCP No. 4775)

APPEALS from judgments of the Superior Court of Los Angeles County, William E. Highberger, Judge. Affirmed in part and reversed in part. Bernstein Liebhard and Daniel C. Burke for Plaintiff and Appellant C.S. Law Office of Martin N. Buchanan, Martin N. Buchanan; Engstrom, Lipscomb & Lack and Ann Howitt for Plaintiffs and Appellants J.D. and J.T. Drinker Biddle & Reath, Rodney M. Hudson, William A. Hanssen; Faegre Drinker Biddle & Reath and Rodney M. Hudson for Defendants and Respondents. —————————— C.S., J.D., and J.T. (collectively plaintiffs) were adolescents who were prescribed the antipsychotic drug risperidone after it was approved by the Food and Drug Administration (FDA) to treat behavioral symptoms in children with autism. They allege that risperidone caused them to develop gynecomastia, a condition characterized by the enlargement of male breast tissue. Plaintiffs sued risperidone’s manufacturers and distributors, Janssen Pharmaceuticals, Inc.; Janssen Research and Development, LLC; Johnson & Johnson; and McKesson Corporation (collectively and interchangeably, Janssen) for failure to adequately warn of the risk of gynecomastia on the drug’s label. Janssen moved for summary judgment on federal preemption grounds against plaintiffs. Janssen also moved for summary judgment against the individual plaintiff, C.S., on the ground that he could not raise a triable issue of fact under New York’s proximate cause standard, which requires the patient to show that the treating physician would have changed her prescribing behavior had she had an adequate warning. The trial court granted both motions. For the reasons set forth below, we affirm the summary judgment against C.S., but reverse the summary judgment decided on preemption grounds. BACKGROUND I. Janssen researches a pediatric indication for risperidone Risperidone1 is an antipsychotic medication that was first approved by the FDA in 1993 for managing manifestations of psychotic disorders in adults. Risperidone elevates blood levels of prolactin, a hormone produced by the pituitary gland. Elevated

1 Risperdal is the brand name for risperidone.

2 levels of prolactin (hyperprolactinemia) are associated with gynecomastia. After risperidone was approved for use in adults, Janssen sought a pediatric indication to treat irritability associated with autism in children. Before it sought FDA approval for pediatric use, Janssen conducted five studies of prolactin levels and prolactin-related side effects in 592 children who took risperidone for disruptive behavior disorders. The combined results of these five studies showed that the prolactin levels of children elevated quickly after being put on risperidone, peaked during weeks four through seven, then gradually declined. At weeks four through seven, 70.5 percent of children had elevated prolactin levels. Thirty of the 592 children, or five percent, developed prolactin- related side effects, with gynecomastia being the most common. The largest of the pediatric studies was an open label risperidone only use study known as RIS-INT-41 (study 41). (Croonenberghs et al., Risperidone in Children With Disruptive Behavior Disorders and Subaverage Intelligence: A 1-Year, Open- Label Study of 504 Patients (Jan. 2005) 44 Journal of the American Academy of Child and Adolescent Psychiatry 64.) It followed 504 children between the ages of five and 14 who used risperidone over the course of one year. The results of study 41 showed that 5.5 percent of the boys in the study developed gynecomastia. Janssen also conducted an extension study of study 41 that followed 48 of the children who continued to take risperidone for a second year known as RIS-INT-70 (study 70). (Reyes et al., Long-Term Use of Risperidone in Children with Disruptive Behavior Disorders and Subaverage Intelligence: Efficacy, Safety, and Tolerability (2006) 16 Journal of Child and

3 Adolescent Psychopharmacology 260.) Study 70 showed that 14.3 percent of the children developed gynecomastia. The pooled results of the five pediatric studies were published in a 2003 article in the Journal of Clinical Psychiatry. (Findling et al., Prolactin Levels During Long-Term Risperidone Treatment in Children and Adolescents (Nov. 2003) 64 Journal of Clinical Psychiatry 1357.) The purpose of the article was to investigate prolactin levels in children taking risperidone and to explore any relationship to “side effects hypothetically attributable to prolactin” or “SHAP”, which included gynecomastia.2 For the article, Janssen commissioned a statistical analysis of the five pediatric studies that generated a number of tables. One of those tables was table 21, which compared subjects with elevated prolactin levels and those with normal prolactin levels for different study time periods. For children prescribed risperidone for a period of eight to 12 weeks, table 21 showed that those with elevated prolactin levels were 2.8 times more likely to have suffered prolactin-related side effects, particularly gynecomastia. A July 2002 draft manuscript of the article circulated internally within Janssen referred to the statistically significant association between elevated prolactin in risperidone users and prolactin related adverse events during weeks eight through 12. In internal emails, Janssen officials expressed concerns about how to deal with the table 21 statistics. One Janssen representative stated, “I think we need to include the lack of association between . . . [prolactin] level or SHAP, as our advisors tell us that this is one serious concern about prolactin. If we can

2 SHAP is an acronym invented by Janssen. Gynecomastia is the only prolactin-related side effect in males.

4 demonstrate that the transient rise in [prolactin] does not result in abnormal maturation or SHAP, this would be most reassuring to clinicians.” Another Janssen representative stated, “Key message—prolactin rise is transient and not related to side effects hypothetically attributed to prolactin.” Janssen then commissioned a revised statistical analysis, which excluded all findings of prolactin-related side effects in males 10 years or older. With the revised data set, Janssen created a new table, which was similar to table 21; however, it no longer showed any statistical significance for prolactin-related side effects at weeks eight through 12. In October 2002, Janssen prepared another draft of the article based on the revised statistics. The draft manuscript claimed that there “was no statistical difference in the percentage of patients who reported SHAP for any analysis time period, whether or not prolactin levels were normal or above the ULN [upper limit of normal] (range).” The final published version of the article again omitted all prolactin-related side effects in boys 10 years of age or older, and did not mention or include the original analysis results for weeks eight through 12. Table 21 was not disclosed by Janssen to the outside authors of the article. II. The FDA approves risperidone’s label and pediatric indication In 2003, Janssen submitted a supplemental new drug application seeking a pediatric indication for risperidone to treat children with autism. Janssen submitted the pooled pediatric safety data to the FDA. Janssen described the data pooling portion of Janssen’s proposed statistical analysis plan, which included data from autism studies as well as data from pediatric

5 disruptive behavior disorder studies. Janssen did not submit table 21 as part of its application.

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