Access to clinical trials is often when we're doing investigational testing because there are certain requirements on the sponsor to have a well-designed protocol, that the risks are mitigated to the degree possible, that patients are informed and that you have REB approval. In the development of drugs, we encourage access to be through a well-designed clinical trial.
Having said that, there are challenges when patients with rare diseases may be distributed randomly or very widely in small numbers across the country. We work with sponsors to encourage access to those individual patients or specific patients. Failing that, there are other options, like open label trials or compassionate access programs, where individual patients, under the design of a protocol, can get access to a drug that may not actually be in the larger trial that's ongoing.
When trials finish, then there's also a concern about ongoing access. Again, there are opportunities, if the sponsor is prepared to continue to provide access, so that patients that are responding to the product can continue to get access through an open label extension or compassionate access. We encourage that until such time as it's market authorized.
Under the right to try, right to try can mean different things. It can also mean that a patient who wants access to investigational therapy where there may be varied or no evidence around its efficacy wants access to that drug. When we did the SAP renewal, the thinking around the special access program, we did a consultation back in December of last year and January this year. It was one of the questions we asked. There were health professionals, health care system workers, patient support groups and associations. By and large, there was very little support for the right to try.
Some of the reasons we heard were typically about, when you're talking about right to try you're talking about a serious or life-threatening condition, and almost unanimously, you require a health practitioner to be involved in that care. The special access program allows that to happen. A health practitioner can evaluate an individual patient, look at the products available, look at what evidence there may be, credible or not, to support the use and come forward with an application. It's also something in jurisdictions elsewhere that there's not a lot of support for. In fact, most manufacturers have commented that they don't want their investigational products necessarily being accessed in that way. They would rather that it be in its early development or a properly designed trial, where you can control for variables, and the evidence is usable to move forward with the support of market authorization.
Cathy, do you have any other—