Invivyd Commends FDA Focus on Contemporary Evidence In Evaluating Medical Interventions To Prevent COVID-19

In This Article:

Invivyd
Invivyd
  • FDA acknowledges that the benefit of repeat doses of COVID-19 vaccine boosters for Americans is uncertain; the updated regulatory framework for COVID-19 vaccines articulated by the Agency generally aligns with recent Invivyd Citizen Petition requests

  • In contrast to vaccine boosters, monoclonal antibody (mAb) therapies, including pemivibart, underwent contemporary randomized, placebo-controlled trials to evaluate safety, immunogenicity, and exploratory efficacy in relevant, modern Americans, against relevant, modern immune-evasive SARS-CoV-2 viruses, and over the long-term

  • Invivyd plans to advance next generation COVID-19 mAbs to improve product scalability and system-friendliness while preserving strong anticipated mAb preventative efficacy; additional data on Invivyd’s investigational mAb VYD2311 expected this quarter

  • Invivyd plans to engage FDA shortly on an expedited pathway to develop high-quality, scalable COVID-19 prevention and treatment options urgently needed by high-risk populations identified by the FDA

WALTHAM, Mass., May 21, 2025 (GLOBE NEWSWIRE) -- Invivyd, Inc. (Nasdaq: IVVD), today commends new U.S. Food and Drug Administration (FDA) leadership on taking important steps to acknowledge and resolve the significant uncertainty surrounding the contemporary COVID-19 vaccine booster efficacy landscape. In a New England Journal of Medicine (NEJM) publication on May 20, 2025, titled “An Evidence-Based Approach to Covid-19 Vaccination,” and in a follow-on live webinar on May 20, 2025, FDA leadership correctly identified gaps in the modern understanding of COVID-19 vaccine booster efficacy and provided a mechanism to resolve those gaps and move forward.

Consistent with the requests set forth in the recently filed Invivyd Citizen Petition, the FDA has now “encouraged [COVID-19 vaccine] manufacturers to conduct randomized, placebo-controlled trials (RCTs) in the population of healthy adults,” using the FDA’s “preferred primary end point” of PCR-confirmed symptomatic COVID-19. Importantly, the FDA has affirmed that these clinical trials should include Americans who have had COVID-19 within the past year, a requirement necessary to evaluate efficacy benefits in “the average American,” and which criterion reflects the widespread, damaging, and ongoing impact of COVID-19 in America. Further, these clinical trials should extend for the time period required to adequately characterize potential efficacy waning, specifically “follow-up should extend for a minimum of six months to ensure that early booster gains persist.”