On Aug
21, 2019, Delaware court found Galderma’s method of treating rosacea patent
invalid for anticipation.
Galderma sued Teva under Hatch-Waxman act for infringement
of several patents listed in orange book for Soolantra® cream. Court held bench
trial from June 10 to 12, 2019, focusing essentially on 3 patents; US 9,089,587,
US 9,233,117, and US 9,233,118. Teva argued that asserted claims of these
patents are invalid for lack of written description, anticipation, and
obviousness. Broadly these patents are directed to methods of treating
papulopustular rosacea. All of the asserted claims require (1) topically
administering, (2) once daily, (3) to a skin area affected by the inflammatory
lesions of rosacea, ( 4) a pharmaceutical composition comprising 1 % by weight
ivermectin and a pharmaceutically acceptable carrier.
Anticipation:
Teva argues that the asserted claims are invalid as
anticipated by either the McDaniel patent or the Manetta
patent. McDaniel claims an invention relating to "a method for treatment
of rosacea (acne rosacea) in humans employing orally-administered or
topically-applied ivermectin." explicitly discloses an embodiment using
topical ivermectin:
“Ivermectin is
formulated into a cosmetically-acceptable topical
lotion, cream, or gel and applied to skin affected by rosacea. Because of the well-known barrier effect the skin presents
to the penetration of topical medications, such a route of treatment with
ivermectin would be anticipated to require once
or twice-daily applications for as long as four weeks to achieve sufficient
follicle penetration and effective miticidal activity. A topical formulation
that could achieve this effect would contain about 1-5% ivermectin”.
Thus, court said that McDaniel discloses every element of
the claimed treatment method, ie. "topically administering", "once daily", "to a skin area
affected by the inflammatory lesions of papulopustular rosacea" and "a
pharmaceutical composition comprising about 1 % by weight ivermectin and a
pharmaceutically acceptable carrier".
Galderma argued that McDaniel fails to disclose (1) the use
of topical ivermectin for the purpose of treating inflammatory lesions of
papulopustular rosacea and (2) the use of 1 % ivermectin once daily.
With respect to first
point, Galderma argued that McDaniel fails to disclose the use of
ivermectin to treat inflammatory lesions because it discloses a method that
"elicit lesion formation" and co-administers ivermectin with
"conventional anti-rosacea medications." But court disagreed &
said that any increase in lesion formation is temporary. Regardless, lesion
formation is a measure of efficacy and is irrelevant to whether McDaniel
discloses the steps of the treatment method. With respect to second point, Galderma argued that McDaniel's
disclosure of "about 1-5% ivermectin" is not "sufficiently
specific" to anticipate the asserted claims and is not connected to the
once-daily dosing frequency. Court again disagreed & said that, although
McDaniel discloses a genus of 1-5% ivermectin, there is no evidence that 1-5%
is a particularly broad range for the purposes of the claimed treatment method.
Galderma has made no allegation of criticality or provided any evidence
demonstrating any difference across the range. There is thus no
"considerable difference" between the 1 % ivermectin limitation and the
1-5% ivermectin range in McDaniel. Also, McDaniel ties the use of 1 %
ivermectin to a once-daily dosage. McDaniel provides a clear reason to connect
the disclosure of 1 % ivermectin with once-daily applications as it explicitly
teaches the use of both elements together.
Court further said that, aside from the treatment method,
the only remaining limitations are those relating
to efficacy. "Under the principles of inherency, if the prior art
necessarily functions in accordance with, or includes, the claimed limitations,
it anticipates." [MEHL/Biophile
Int'! Corp. v. Milgraum, 192 F.3d 1362, 1365 (Fed. Cir. 1999)]. Galderma
argued that McDaniel's treatment of rosacea generally is insufficient for anticipation
because it will not necessarily result in treatment of inflammatory lesions of
papulopustular rosacea. But court said that, the issue is not whether McDaniel's
formulation if applied would inherently treat inflammatory lesions of
papulopustular rosacea, but whether McDaniel discloses the application of the
formulation to inflammatory lesions of papulopustular rosacea. And court found
that it does.
Court further said that, the only remaining issue is whether
McDaniel also discloses using the same ivermectin formulation as in the
asserted claims. The parties have stipulated, "Manetta enables
McDaniel in 2012 as to the formulation." Thus, as of 2012, before the
critical dates of the asserted claims, a person of ordinary skill in the art
would have been able to practice McDaniel's disclosed treatment method with
Manetta's formulation without undue experimentation. The Manetta formulation is
the formulation for Galderma's product, Soolantra. Galderma argued that Teva
has failed to meet its burden on anticipation because it must show that all 1 %
ivermectin formulations disclosed in McDaniel would necessarily achieve the claimed
efficacies. But court said that, it is well established that "[f]or a
prior-art reference to be enabling, it need not enable the claim in its entirety,
but instead the reference need only enable a single embodiment of the
claim."
Court held that the asserted claims consist of the same
steps described in McDaniel and are directed to the same use-treating
inflammatory lesions of papulopustular rosacea. "Using the same composition
claimed by [Galderma] in the same manner claimed by [Galderma] naturally
results in the same claimed skin benefits." Therefore, the claimed efficacies
are nothing more than "the natural result flowing from the explicit
disclosure" of the claimed treatment method. As such, those efficacies are
inherent to and anticipated by McDaniel's disclosure of the claimed treatment
method.
Court thus did not address other invalidity arguments as each
of the asserted claims found invalid for anticipation.
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