
Capricor’s DMD Cardiomyopathy Cell Therapy Deramiocel Back Under Review by FDA
Key Takeaways
- FDA lifted the CRL and set an August 22, 2026 PDUFA date, continuing BLA review based on new phase 3 HOPE-3 evidence and supporting documentation.
- The July 2025 CRL concluded the application lacked “substantial evidence of effectiveness” and also flagged outstanding CMC elements that were not reviewed due to the CRL timing.
The agency has set a PDUFA date for August 22, 2026.
The FDA has lifted the complete response letter (CRL) that it previously issued to Capricor Therapeutics’ biologics license application (BLA) for deramiocel, an investigational allogeneic cardiosphere-derived cell therapy intended for the treatment of Duchenne muscular dystrophy (DMD) cardiomyopathy.1
The BLA is now considered a Class 2 resubmission. The new Prescription Drug User Fee Act (PDUFA) action date has been set at August 22, 2026. The FDA made the decision to continue its review of the BLA in response to newly submitted data and supporting documentation from the ongoing phase 3 HOPE-3 clinical trial (NCT05126758). Data from HOPE-3 had not been part of the original rolling BLA submission,
Capricor noted that the BLA resubmission is expected to be eligible to provide a Priority Review Voucher to the company if Deramiocel is approved. The company also pointed out that the FDA has not alluded to any potential issues with the new BLA submission.
“We submitted our documentation in response to the CRL that we got from FDA last summer,” Linda Marbán, PhD, the chief executive officer of Capricor, told NeurologyLive® and our sister site CGTLive® during an in-person interview at
The CRL was issued to Capricor in July 2025.3 At the time, the FDA stated that the statutory requirement for “substantial evidence of effectiveness” was not met and that more clinical data would be needed. Furthermore, the FDA also drew attention to outstanding parts of the BLA’s Chemistry, Manufacturing, and Controls (CMC) section, that were not reviewed by the agency because of the CRL’s timing; although, Capricor noted at the time that most of these CMC items had been addressed previously in its interactions with the FDA.
“[In HOPE-3], we hit both the primary of performance of the upper limb and the key secondary of EF,” Marban continued in the interview. “Now, we're looking forward to the PDUFA date [and] we anticipate labeling negotiations to happen. Prior to that, we'll update the community on what the label indication will be. We're going to try and get not only the cardiomyopathy label, but also a skeletal muscle function or DMD label because we had such robust results in that aspect of the trial, as well.”
Later in 2025, the FDA published the CRL publicly on its website.4 In September 2025, Capricor
“Transparency is vital in regulatory communications, especially when patients are waiting for therapies with the potential to alter the course of devastating diseases such as DMD...” Marbán said in a September 2025 press release.4 “While we respect the FDA’s process, we believe it is important that the public has visibility into both the CRL and our detailed written response submitted to the agency.”


















