FDA GUI Summary of Contract Manufacturing Arrangement for Drugs: Quality Agreements November 2016 www.Rx-360.org This summary was prepared by the Rx-360.

Slides:



Advertisements
Similar presentations
Basic Principles of GMP
Advertisements

Radiopharmaceutical Production
MODULE B - PROCESS B1. ASME Organizational Structure B2. Standards Development: Staff and Volunteer Roles and Responsibilities B3. Conformity Assessment:
Module 6 | Slide 1 of Contract Production, Analysis and other activities Section 7 Basic Principles of GMP.
GMP Document and Record Retention
Development of Guidance Documents Jennifer Scharpf, M. P. H
© 2005 Notification and Reporting on Food Incidents: Irish Approach Food & Drugs Authority Bangkok Thailand Dorothy Guina-Dornan.
Options for Regulation and the Impact of Regulation on the Marketplace 29 November 2005 Alan Kent
Understanding CGMPs – What Attorneys Need to Know The Nuts & Bolts of CGMPs: FDA Guidance for Industry Paula R. Katz Acting Branch Chief, Regulatory Policy.
Introduction to Regulation
Special Topics in IND Regulation
World Health Organization
CBER Cooperative Manufacturing Arrangements (Contractors) Jennifer Jones Consumer Safety Officer CBER, OBRR, DBA September 15, 2009.
Top Tactics for Maximizing GMP Compliance in Blue Mountain RAM Jake Jacanin, Regional Sales Manager September 18, 2013.
FDA’s Perspective Continued - Where We Are ?. GMP Task Groups.
Huzairy Hassan School of Bioprocess Engineering UniMAP.
BRC Food Safety Quality Management System Training Guide
Regulatory Update Ellen Leinfuss SVP, Life Sciences.
Regulatory Overview.
Ashland Specialty Ingredients IFAC’s cGMP Audit Guide How the Food Ingredient Industry has Responded to FSMA and Food Safety Audits Priscilla Zawislak.
Laboratory Biorisk Management Standard CWA 15793:2008
Industry Perspective on Challenges for Product Developers - Drugs Christine Allison, M.S., RAC Associate Regulatory Consultant, Global Regulatory Affairs.
Understanding ISO 22000:2005 TCISys.com.
Debby Shapero Propp CESO 2004 April 30, 2004 TREATMENT OF MEDICAL DEVICE LICENSING ISSUES IN PROCUREMENT DOCUMENTATION.
1 PAT and Biological Products Tom Layloff FDA-SGE Management Sciences for Health The views expressed here are those of the author and not necessarily.
Important informations
10/20/ The ISMS Compliance in 2009 GRC-ISMS Module for ISO Certification.
“513(g)s” Requests for Information Lawrence “Jake” Romanell, RM (AAM) Office of Device Evaluation Center for Devices and Radiological Health.
Proposed Rule for Preventive Controls for Animal Food.
Proposed Rule: 21 CFR 507 Proposed Rule for Preventive Controls for Animal Food 1.
Overview of FDA's Regulatory Framework for PET Drugs
FDA Regulatory and Compliance Symposium
Final Rule for Preventive Controls for Animal Food 1 THE FUTURE IS NOW.
The Second Annual Medical Device Regulatory, Reimbursement and Compliance Congress Presented by J. Glenn George Thursday, March 29, 2007 Day II – Track.
Module 2Slide 1 of 26 WHO - EDM Quality Management Basic Principles of GMP Part One.
CDER / Office of Compliance ACPS October 5, 2006 Joseph C. Famulare Acting Deputy Director Office of Compliance CDER / FDA.
Drug Development and IND Process GC 690 Walter Kraft, MD.
CGMPs BT 202 Biotechnology Techniques II. Food and Drug Administration Established under 1906 Pure Food and Drugs Act to prevent sale of unacceptable.
California Department of Public Health / 1 CALIFORNIA DEPARTMENT OF PUBLIC HEALTH Standards and Guidelines for Healthcare Surge during Emergencies How.
Agreement concerning the adoption of uniform conditions for periodical technical inspections of wheeled vehicles and the reciprocal recognition of such.
1 Summary of FDA Guidance for Industry Standards for Securing the Drug Supply Chain – Standardized Numerical Identification for Prescription Drug Packages.
1 Vereniging van Compliance Officers The Compliance Function in Banks Amsterdam, 10 June 2004 Marc Pickeur CBFA CBFA.
1 From Regulatory Intelligence to Compliance Debbie Henderson Head, Global Regulatory Policy EU Ring May 13, 2014.
An exposure to COMPLIANCE AUDIT By- Vishal Chawre DAG(A/c & VLC) O/o AG(A&E), Nagpur.
Validus Auditor Training
New legislation impacting IMP
Update on the Latest Developments in Government Auditing Standards
Author: Nurul Azyyati Sabri
Post-Notice of Compliance (NOC) Changes
MHRA GMP Inspection Deficiency Data Trend 2016
Objectives of WHO's collaboration with NGOs
Nuclear and Treaty Law Section Office of Legal Affairs
How to Put Together an IDE Application
FDA Inspections Stephen Joseph Joy’s Quality Management Systems
Prepared by Rand E Winters, Jr. ASR Senior Auditor October 2014
FDA Guidance for Industry and FDA Staff Summary of Public Notification of Emerging Postmarket Medical Device Signals (“Emerging Signals”) Effective: December.
Lesson 7: BRITE Seminar: GMP II
Lesson 5: BRITE Seminar: GMP II
Roadmap to Enhanced Technical Regulations of WMO
Lesson 8: BRITE Seminar: GMP II
Combination products The paradigm shift
FDA 21 CFR Part 11 Overview June 10, 2006.
CABINET X-RAY MACHINE OPERATOR RADIATION SAFETY TRAINING COURSE
GMP Inspection Process
International Whole Vehicle Type Approval
EU Food Safety Requirements: - Hygiene of Foodstuffs -
Final Rule on Foreign Supplier Verification Programs
The ARTC Safety Management System Presentation 1/3
Radiopharmaceutical Production
A FRIENDLY REMINDER ON OTC DRUGS. DRUG REGULATIONS IN THE PHILIPPINES.
Presentation transcript:

FDA GUI Summary of Contract Manufacturing Arrangement for Drugs: Quality Agreements November 2016 www.Rx-360.org This summary was prepared by the Rx-360 Monitoring and Reporting Working Group which tracks regulatory, legislative and policy developments relevant to pharmaceutical/medical device supply chain integrity. The summary is not intended to serve as comprehensive and formal interpretation or guidance (and should not replace your own review and analysis of any referenced source documents). If you have questions, please contact Britany Tobery, Rx-360 Secretariat, at 301.710.9399 or btobery@rx-360.org

I. Guidance Purpose and Scope The guidance describes FDA’s current thinking on defining, establishing, and documenting manufacturing activities of the parties involved in contract drug manufacturing subject to CGMP requirements. Specifically the guidance outlines how the drug’s owner and the contact drug manufacturer should draft the content of a quality agreement to delineate their manufacturing activities to ensure compliance with CGMP. Pertains to commercial manufacturing of human and veterinary drugs, certain combination products, biological and biotechnology products, finished products, APIs, drug substances, in-process materials, and drug constituents of combination drug/device products. Does not pertain to Type A medicated articles and medicated feed, medical devices, dietary supplements, or human cells, tissues, or cellular or tissue-based products regulated solely under section 361 of the Public Health Service Act and 21 CFR part 1271. www.Rx-360.org

II. Defining the Who and What of Contract Manufacturing Describes how contract manufacturing operations fit within the larger scheme of pharmaceutical quality systems Addresses the relationship (roles & responsibilities) between owners and contract facilities Define owners as manufacturers of APIs, drug substances, in-process materials, finished drug products, including biological products, and combination products.

III. Responsibilities of Parties Involved in Contract Manufacturing FDA encourages parties engaged in contract manufacturing to implement quality management practices. This guidance is intended to build upon the quality risk management principles and recommendations outlined above and to illustrate key points in developing and executing quality agreements that describe and support contract manufacturing arrangements. Recommends the use of guidance provided in ICH Q7,Q9, Q10.

IV. Documenting CGMP Activities in Quality Agreements 21 CFR 211.22(d) states that quality unit activities and procedures should be in writing. FDA recommends that owners and contract facilities establish a written quality agreement to describe their respective CGMP-related roles, responsibilities, and activities in drug manufacturing. Quality agreements cannot be used to delegate statutory or regulatory responsibilities to comply with CGMP. Provides a definition of a Quality Agreement and a brief explanation of each of the activities to cover: manufacturing, quality unit, facilities and equipment, materials management, laboratory controls, documentation, change control, and product distribution.

VI. Recommendations Owners and contract facilities should apply quality management principles to carry out the complicated process of contract drug manufacturing by defining, establishing, and documenting their activities in drug manufacturing operations, including processing, packing, holding, labeling operations, testing, and quality control operations. FDA recommends that owners and contract facilities implement written quality agreements as tools to delineate manufacturing activities for ensuring compliance with CGMP.

Thank you info@Rx-360.org For More Information www.Rx-360.org