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Good Manufacturing Practice
(“GMP”) Compliance:

GMPs EXPLAINED
Presented by

Raymond A. Bonner
Nathan C. Sheers
SIDLEY AUSTIN BROWN & WOOD, LLP
Washington, D.C.
(202) 736-8000
To

The Fourth Annual Pharmaceutical
Regulatory and Compliance Congress
and Best Practices Forum
November 13, 2003
Good Manufacturing Practice
Regulations


Establishes minimum GMP for methods
to be used, and the facilities or controls to
be used for, the manufacture, processing,
packing or holding of a drug to assure
that the drug is:


Safe



Has the appropriate identity and strength



Meets quality and purity characteristics

21 C.F.R. 210 and 211

2
cGMP Violations -Severe Consequences
Product is “adulterated”
Shutdown of manufacturing facility
Seizure of product
Recall product
Front page press coverage
Competitive disadvantage
3
Severe Consequences (cont.)
GMP Hold on product applications


International sites

Injunction / Consent decree





Schering Plough ($500 Million)
Abbott Laboratories ($100 Million)
Wyeth–Ayerst Laboratories ($30 Million)
Individual Defendants

Criminal Investigations and Indictments
Lawsuits


United States ex rel. King

4
cGMP: Current Trends


21st Century: Risk-Based Approach
Risk-based assessment
 Up-to-date Science-based policies and standards


• Part 11


Integrated Systems approach
• Quality / Facilities and Equipment / Materials /
Production / Packaging and Labeling / Laboratory
Control



International cooperation
• ICH: International Conference on Harmonisation



Proposed amendments regarding validation
5
and cross-contamination
cGMP: The Basics


Quality Control




Product meets specifications

Quality Assurance





Systems ensure control and consistency
Validation, validation, validation

Documentation


If it is not documented, it did not happen
6
cGMP: Raw Materials


Active ingredients



Excipients



Audit suppliers on regular basis






Before entering into contract, review regulatory
history
Monitor regulatory compliance

Test incoming raw material
7
cGMP: Buildings and Facilities


Separate or defined areas as are necessary
to prevent contamination or mixups



Air filtration systems (HVAC) in
production areas



Sanitation
21 C.F.R. 211.42-58
8
cGMP: Production and Process
Controls (“SOPs”)
Written production and process control
procedures shall be followed in manufacturing and
shall be documented at the time of performance.
Any deviation from these procedures shall be
recorded and explained or justified.
21 C.F.R. 211.100
9
cGMP: In Process Testing


Must have written procedures and testing of product
while being manufactured to assure batch uniformity
and integrity



Control procedures shall be established to monitor
output and to validate manufacturing processes that
could cause variability
21 C.F.R. 211.110
10
cGMP: Expiration Dating


To assure that a drug
product meets applicable
standards of identity,
strength, quality and
purity at the time of use, it
shall bear an expiration
date determined by
appropriate stability
testing described in
Section 211.166.



Expiration dates shall be
related to any storage
conditions stated on the
labeling, as determined by
stability studies described
in Section 211.166.
21 C.F.R. 211.137 (b)

21 C.F.R. 211.137 (a)

11
cGMP: Packaging and Labeling
Operations


Company must have written procedures
designed to assure that correct labels, labeling
and packaging materials are used for drug
products; such written procedures shall be
followed.



Label mix ups have been a major reason for
drug product recalls.
21 C.F.R. 211.130

12
cGMP: Laboratory Controls


Testing and release for distribution


For each batch of drug product, there shall be
laboratory determination of satisfactory
conformance to final specifications for the drug
product, including the identity and strength of each
active ingredient prior to release.



There shall be appropriate laboratory testing, as
necessary, of each batch required to be free of
objectionable microorganisms.
13
21 C.F.R. 211.165 (a) & (b)
cGMP: Stability Testing
A written testing program designed to
assess stability characteristics is
required. Stability testing results must
be used in determining storage
conditions and expiration dates.
21 C.F.R. 211.166
14
cGMP: Production Record
Review


Production and control records shall be reviewed
and approved by the quality control unit to
determine compliance with all established,
approved written procedures before a batch is
released or distributed.


Product Impact Assessment



Trend Analysis



Distributed Product

21 C.F.R. 211.192

15
cGMP: Deviation Investigations


Any unexplained discrepancy or the failure of a batch
or any of its components to meet any of its
specifications must be investigated whether or not the
batch has already been distributed.


Investigate other batches of same drug product



Investigate other drug products that
may have been associated with the
specific failure or discrepancy



Written record of investigation

16
cGMP: Deviation Investigations
(cont.)
 Documenting the Investigation is Critical


Hypotheses should be scientifically based



Subject matter experts should be consulted
throughout the investigation, including the initial
identification of hypotheses



Once a hypothesis is identified, it must be
investigated



All hypotheses should be validated or invalidated
17
cGMP: Deviation Investigations
(cont.)
 Corrective and Preventative Action Program


As part of deviation investigations...



Root cause identification and definitive corrective
actions
• Company Program / System should audit:
– Timeliness of corrective / preventative actions
– Effectiveness of actions
– Documentation

• Example:
– Environmental monitoring/Cleaning

18
cGMP: Deviation Investigations
(cont.)
 Corrective and Preventative Action Program (cont.)


After an FDA inspection...



Establish scientifically sound corrective and
preventative actions
• Realistic timeframes



Ensure compliance with commitments to FDA
• Systems
• Specific Issues
– E.g., Change Control / Training

19
cGMP: Responsibility and
Authority of Quality Control


Quality control unit “shall have the responsibility and
authority to approve or reject all components, drug
product containers, closures, in-process materials,
packaging material, labeling, and drug products, and
the authority to review production records to assure
that no errors have occurred or, if errors have
occurred, that they have been fully investigated. The
quality control unit shall be responsible for approving
or rejecting drug products manufactured, processed,
packed, or held under contract by another company.”
21 CFR 211.22(a)

20
cGMP: Complaints


Written procedures describing the handling of
all written and oral complaints



Review by Quality Control unit



Determine need for deviation investigation





Possible failure to meet any specification
Adverse Drug Experience report assessment

Documentation of complaint and investigation
or reason for not investigating

21 C.F.R. 211.198

21
cGMP: Records and Reports
Contemporaneous documentation critical


Laboratory and production records



Trending analysis

Data Integrity

Internal review: OOS results, complaints, R&D
External review: FDA inspections, business deals
(due diligence), and products liability cases
22
cGMP: Reports (cont.)


Field Alert Reports § 314.81(b)(1)



Failure to meet specifications — STABILITY FAILURES



Within 3 working days of receipt





Labeling

Warner Lambert criminal case

Adverse Drug Experience Reports § 314.80





ASAP but no later than 15 calendar days of initial receipt
Foreign and domestic

Recall Procedures and Preparation

23
cGMP: Auditing


Independent Audit Group


Resources



Authority



Global Approach - Harmonization of Quality
Standards



Audit priority systems / specific issues



Follow-up audits
24
Good Manufacturing Practice
(“GMP”) Compliance:

GMPs EXPLAINED
Presented by

Raymond A. Bonner
Nathan C. Sheers
SIDLEY AUSTIN BROWN & WOOD, LLP
Washington, D.C.
(202) 736-8000
To

The Fourth Annual Pharmaceutical
Regulatory and Compliance Congress
and Best Practices Forum
November 13, 2003

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Good Manufacturing Practice (“GMP”) Compliance: GMPs EXPLAINED by SIDLEY AUSTIN BROWN & WOOD, LLP

  • 1. Good Manufacturing Practice (“GMP”) Compliance: GMPs EXPLAINED Presented by Raymond A. Bonner Nathan C. Sheers SIDLEY AUSTIN BROWN & WOOD, LLP Washington, D.C. (202) 736-8000 To The Fourth Annual Pharmaceutical Regulatory and Compliance Congress and Best Practices Forum November 13, 2003
  • 2. Good Manufacturing Practice Regulations  Establishes minimum GMP for methods to be used, and the facilities or controls to be used for, the manufacture, processing, packing or holding of a drug to assure that the drug is:  Safe  Has the appropriate identity and strength  Meets quality and purity characteristics 21 C.F.R. 210 and 211 2
  • 3. cGMP Violations -Severe Consequences Product is “adulterated” Shutdown of manufacturing facility Seizure of product Recall product Front page press coverage Competitive disadvantage 3
  • 4. Severe Consequences (cont.) GMP Hold on product applications  International sites Injunction / Consent decree     Schering Plough ($500 Million) Abbott Laboratories ($100 Million) Wyeth–Ayerst Laboratories ($30 Million) Individual Defendants Criminal Investigations and Indictments Lawsuits  United States ex rel. King 4
  • 5. cGMP: Current Trends  21st Century: Risk-Based Approach Risk-based assessment  Up-to-date Science-based policies and standards  • Part 11  Integrated Systems approach • Quality / Facilities and Equipment / Materials / Production / Packaging and Labeling / Laboratory Control  International cooperation • ICH: International Conference on Harmonisation  Proposed amendments regarding validation 5 and cross-contamination
  • 6. cGMP: The Basics  Quality Control   Product meets specifications Quality Assurance    Systems ensure control and consistency Validation, validation, validation Documentation  If it is not documented, it did not happen 6
  • 7. cGMP: Raw Materials  Active ingredients  Excipients  Audit suppliers on regular basis    Before entering into contract, review regulatory history Monitor regulatory compliance Test incoming raw material 7
  • 8. cGMP: Buildings and Facilities  Separate or defined areas as are necessary to prevent contamination or mixups  Air filtration systems (HVAC) in production areas  Sanitation 21 C.F.R. 211.42-58 8
  • 9. cGMP: Production and Process Controls (“SOPs”) Written production and process control procedures shall be followed in manufacturing and shall be documented at the time of performance. Any deviation from these procedures shall be recorded and explained or justified. 21 C.F.R. 211.100 9
  • 10. cGMP: In Process Testing  Must have written procedures and testing of product while being manufactured to assure batch uniformity and integrity  Control procedures shall be established to monitor output and to validate manufacturing processes that could cause variability 21 C.F.R. 211.110 10
  • 11. cGMP: Expiration Dating  To assure that a drug product meets applicable standards of identity, strength, quality and purity at the time of use, it shall bear an expiration date determined by appropriate stability testing described in Section 211.166.  Expiration dates shall be related to any storage conditions stated on the labeling, as determined by stability studies described in Section 211.166. 21 C.F.R. 211.137 (b) 21 C.F.R. 211.137 (a) 11
  • 12. cGMP: Packaging and Labeling Operations  Company must have written procedures designed to assure that correct labels, labeling and packaging materials are used for drug products; such written procedures shall be followed.  Label mix ups have been a major reason for drug product recalls. 21 C.F.R. 211.130 12
  • 13. cGMP: Laboratory Controls  Testing and release for distribution  For each batch of drug product, there shall be laboratory determination of satisfactory conformance to final specifications for the drug product, including the identity and strength of each active ingredient prior to release.  There shall be appropriate laboratory testing, as necessary, of each batch required to be free of objectionable microorganisms. 13 21 C.F.R. 211.165 (a) & (b)
  • 14. cGMP: Stability Testing A written testing program designed to assess stability characteristics is required. Stability testing results must be used in determining storage conditions and expiration dates. 21 C.F.R. 211.166 14
  • 15. cGMP: Production Record Review  Production and control records shall be reviewed and approved by the quality control unit to determine compliance with all established, approved written procedures before a batch is released or distributed.  Product Impact Assessment  Trend Analysis  Distributed Product 21 C.F.R. 211.192 15
  • 16. cGMP: Deviation Investigations  Any unexplained discrepancy or the failure of a batch or any of its components to meet any of its specifications must be investigated whether or not the batch has already been distributed.  Investigate other batches of same drug product  Investigate other drug products that may have been associated with the specific failure or discrepancy  Written record of investigation 16
  • 17. cGMP: Deviation Investigations (cont.)  Documenting the Investigation is Critical  Hypotheses should be scientifically based  Subject matter experts should be consulted throughout the investigation, including the initial identification of hypotheses  Once a hypothesis is identified, it must be investigated  All hypotheses should be validated or invalidated 17
  • 18. cGMP: Deviation Investigations (cont.)  Corrective and Preventative Action Program  As part of deviation investigations...  Root cause identification and definitive corrective actions • Company Program / System should audit: – Timeliness of corrective / preventative actions – Effectiveness of actions – Documentation • Example: – Environmental monitoring/Cleaning 18
  • 19. cGMP: Deviation Investigations (cont.)  Corrective and Preventative Action Program (cont.)  After an FDA inspection...  Establish scientifically sound corrective and preventative actions • Realistic timeframes  Ensure compliance with commitments to FDA • Systems • Specific Issues – E.g., Change Control / Training 19
  • 20. cGMP: Responsibility and Authority of Quality Control  Quality control unit “shall have the responsibility and authority to approve or reject all components, drug product containers, closures, in-process materials, packaging material, labeling, and drug products, and the authority to review production records to assure that no errors have occurred or, if errors have occurred, that they have been fully investigated. The quality control unit shall be responsible for approving or rejecting drug products manufactured, processed, packed, or held under contract by another company.” 21 CFR 211.22(a) 20
  • 21. cGMP: Complaints  Written procedures describing the handling of all written and oral complaints  Review by Quality Control unit   Determine need for deviation investigation   Possible failure to meet any specification Adverse Drug Experience report assessment Documentation of complaint and investigation or reason for not investigating 21 C.F.R. 211.198 21
  • 22. cGMP: Records and Reports Contemporaneous documentation critical  Laboratory and production records  Trending analysis Data Integrity Internal review: OOS results, complaints, R&D External review: FDA inspections, business deals (due diligence), and products liability cases 22
  • 23. cGMP: Reports (cont.)  Field Alert Reports § 314.81(b)(1)   Failure to meet specifications — STABILITY FAILURES  Within 3 working days of receipt   Labeling Warner Lambert criminal case Adverse Drug Experience Reports § 314.80    ASAP but no later than 15 calendar days of initial receipt Foreign and domestic Recall Procedures and Preparation 23
  • 24. cGMP: Auditing  Independent Audit Group  Resources  Authority  Global Approach - Harmonization of Quality Standards  Audit priority systems / specific issues  Follow-up audits 24
  • 25. Good Manufacturing Practice (“GMP”) Compliance: GMPs EXPLAINED Presented by Raymond A. Bonner Nathan C. Sheers SIDLEY AUSTIN BROWN & WOOD, LLP Washington, D.C. (202) 736-8000 To The Fourth Annual Pharmaceutical Regulatory and Compliance Congress and Best Practices Forum November 13, 2003