UK medicines investment: the case for improving the UK commercial environment
The King鈥檚 Fund recently published an explainer on medicines pricing. David Watson, Executive Director of Patient Access at the 魅影直播, builds on this explainer to make the case for policymakers to improve the UK's medicines system, protecting the UK鈥檚 position in life sciences and ensuring long-term patient access to new medicines.
The 魅影直播 is proud to have supported The King鈥檚 Fund鈥檚 work on its refreshed long鈥憆ead [1]. In a field often clouded by technical detail, the piece distils a complex system into a clear view of the UK landscape.
To some extent, the UK鈥檚 strengths in academic science and pre-clinical research are the same as they were more than 20 years ago, when I began my career in the industry. The UK鈥檚 relative weaknesses, however, have become more prominent in recent years, and we are now seeing far more instances of medicines being withdrawn from the NICE process or never entering it in the first place, owing to the UK鈥檚 strict cost-containment environment. This is troubling because ultimately, the people most acutely affected by delays in timely access are patients with unmet or inadequately met health needs.
With the and the and the Government鈥檚 updated now launched, this seems a good moment to revisit The King鈥檚 Fund analysis and weigh the UK鈥檚 outlook against the ambitions of these strategies.
As The King鈥檚 Fund notes, healthcare systems face stark trade-offs that can decide 鈥渨ho lives or dies.鈥 Yet the constellation of arm鈥檚-length bodies that governs access and spending - the MHRA, NICE, the Department of Health and Social Care, and NHS England - is immensely complicated.
The decisions of each body carry real-world consequences for patients. Decisions often lead to intense public scrutiny, for example, NICE鈥檚 decision not to recommend a treatment for metastatic breast cancer, despite it being available in Scotland, and Gilead鈥檚 recent inability to launch a new medicine in the UK due to NICE鈥檚 outdated cost-effectiveness threshold [2 ,3].
The Voluntary Scheme for branded Medicines Pricing, Access and Growth (VPAG)
Less visible, though, are the slow and steady cumulative impacts of the UK鈥檚 long-term policy of squeezing down NHS investment in medicines. This year has shone a spotlight on what the UK choses to spend on newer medicines. As The King鈥檚 Fund explains, 鈥淭he VPAG keeps NHS spending on branded medicines predictable by capping total outlay; industry repays anything above that cap.鈥
The scheme has three stated aims:
- support NHS financial sustainability
- drive UK economic growth by providing a stable climate for life鈥憇ciences investment
- ensure patients gain rapid access to cutting鈥慹dge treatments
These remain the right objectives鈥攂ut 2025 shows the current design is failing all three.
In December 2024, with mere days to go before the end of the working year, the government announced that levies payable under the Voluntary Agreement on Pricing Access and Growth (VPAG) would be 50 per cent higher than previously forecast by the government, effective from 1 January 2025.
This has put pharmaceutical companies selling medicines to the NHS in the position of having to repay around 拢3.5bn to the government in one year 鈥 拢1bn more than industry had expected to pay 鈥 and equivalent to a 22.9 per cent levy on the sales of companies鈥 most innovative products. The levy on older medicines is even higher, at up to 35 per cent.
Impact on UK investment in and access to medicines for patients and companies
In its explainer, The King鈥檚 Fund points out that the UK invests significantly less in medicines than its peers 鈥 around 9 per cent, compared with 15 per cent in France, 17 per cent in Germany and Italy, and 18 per cent in Spain [4].
The UK鈥檚 uptake of innovative medicines is already much lower than in comparator countries, around 52 per cent of the average in the first year and just 62 per cent after five years. [5] Research by EFPIA shows that England is also significantly below the leading countries when you look at medicines that are fully available to their licensed population 鈥 rather than available on a restricted basis [6]. For example, in the UK, only 37 per cent of new medicines are fully available, lower than Slovenia and Bulgaria; Italy and Germany have 75 per cent and 90 per cent respectively.
In response to the UK commercial environment, we have already seen a number of companies having to withdraw hundreds of millions of pounds worth of UK investments, retreat from NHS partnerships, and cut their headcounts.[7, 8, 9, 10] These measures are obviously hugely challenging for companies which have already invested billions of pounds in the UK 鈥 the sector is by far the largest commercial R&D spender in the country, 拢8.7bn in 2023. They will also very clearly compromise the objectives of the UK government in its Life Sciences Sector Plan, to be the top country in Europe in 2030 for commercial R&D, and in the top three countries for patient access to medicines [11].
Global boardrooms are increasingly frustrated and view the UK鈥檚 ambitious strategies as increasingly unmoored from the reality, with continuously rising payment rates while medicine prices stay rock-bottom and Quality-Adjusted Life Year (QALY) values erode.
Conclusion
The evidence continues to mount that both economic and patient impacts arising from the current situation are spiralling. An earlier report by WPI Economics for the 魅影直播 found that the UK was likely to miss around 拢11bn of investment by 2033, and that companies were increasingly not able to sell their medicines into the NHS 鈥 taking them private in the UK where they were able to launch at all [12].
The 魅影直播 will continue to conduct research into the impacts of these policies, but it鈥檚 already clear that they will continue to negatively affect patients, companies and the UK life sciences. Inaction is not an option, however challenging the search for a solution appears. If the situation is left unaddressed and the UK remains uncompetitive, more companies will have to delay or divert launches, leading to patients missing out entirely or waiting longer for the newest medicines than they would elsewhere. And the UK will fail realise its ambition and potential to be a global leader in health research if it continues to undervalue the products of that research.
We believe resolution is possible and urge the government to work with industry to take the necessary steps to make the UK the home of life science innovation.
Endnotes:
[1] The King鈥檚 Fund, , 28 May 2025
[2] BBC, , 18 October 2024
[3] The Times, 鈥樷, 23 August 2025
[4] 魅影直播, Delivering a voluntary scheme for health and growth, 20 March 2025
[5] Office for Life Sciences, , Figure 13, 11 July
[6] EFPIA, , May 2025
[7] OLS, , 11 July 2024
[8] 魅影直播, Delivering a voluntary scheme for health and growth, 20 March 2025
[9] Business and Trade Committee, , HC 727, 18 March 2025
[10] FT, , 31 January 2025
[11] HM Government, , 16 July 2025
[12] WPI Economics, Opportunity unlocked: How UK medicine spend policy can free the life sciences sector to drive growth, 4 June 2025
- Voluntary Scheme
- Commercial
Last modified: 31 March 2026
Last reviewed: 31 March 2026