For those who develop and commercialize new pharmaceuticals, maximizing product value is a key concern. While there are multiple factors involved in maximizing value, the exclusive rights to protect the product granted by patent and pharmaceutical laws are among the most important.
This position paper outlines the differences in patent term extension systems among Japan, the U.S., and EU, and examines whether any of these systems holds a competitive advantage. It explains that Japan’s system is designed to provide robust protection for both sequential and cumulative innovation, thereby offering a more favorable competitive environment than those in the U.S. and EU.
First, I will briefly explain why the patent term extension system for pharmaceuticals exists. Then, I will try to draw a conclusion as to which one offers the greatest advantage by comparing the systems in Japan, the U.S. and EU.
In principle, patents last 20 years from the date of application. However, clinical trials and approval reviews often take more than 10 years, resulting in a long period during which the product cannot be commercialized despite having a patent. Therefore, the patent extension system is designed to compensate for that period when the product couldn’t be commercialized.
2. A Comparison of Systems in Japan, the U.S., and EU
|
Category |
Japan |
U.S. |
EU |
|
System Name |
Patent Term Extension (PTE) |
PTE (Hatch-Waxman) |
Supplementary Protection Certificate (SPC) |
|
Maximum Extension/approval |
5 years |
5 years |
5 years (+6 months for pediatric use) |
|
Maximum term after approval |
No limit (theoretically) |
14 years |
15 years |
|
Additional approvals eligible |
YES |
Generally NO |
Generally NO |
|
Nature of the right |
Extension of existing patent |
Extension of existing patent |
Separate right |
3. Outlining Each Country’s System
Japan is often viewed as the most advantageous system for originator companies due to several key features.
Key Characteristics
In practice, there are cases where patents remain in effect for a very long time.
Why This Is Advantageous
Impact
These factors often lead to prolonged market exclusivity. Overall, Japan’s system is strongly rooted in maximizing protection for innovative pharmaceuticals.
The U.S. system reflects a compromise between supporting innovation and enabling earlier generic entry.
Key Characteristics
Supporting Framework
Impact
In exchange for limited patent extensions, the system actively facilitates earlier generic competition. The U.S. model reflects a deliberate balance between incentivizing innovation and controlling healthcare costs.
The EU employs a more rigid and complex framework centered on transparency and market competition.
Key Characteristics
Additional Considerations
Impact
The EU system emphasizes predictability and competition, offering more limited flexibility for originators compared to Japan or the U.S.
In conclusion it is important to consider important factors such as ‘which system is most advantageous for whom? And what is most advantageous for the product originator.
Japan benefits from the following:
It is important to understand how Japan’s patent term extension system differs from those in the U.S. and EU. Furthermore, strategically applying for patent term extensions for multiple approvals of a single product in Japan is believed to maximize the product’s value and increase the likelihood of successful licensing deals.
Reference
Nakanishi S. Overview and Actual Operation of Patent Term Extension Systems in Japan, the U.S., and the EU. Public Economics Program, Graduate School of International Public Policy, Hitotsubashi University, Japan. August 2009. (Japanese)
Author:
Toshiaki Nagafuji, PhD, RPh
Exec Officer, CTO, Head of Development Strategy Business