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Lyophilization Processes: A ComplianceEnforcement Perspective

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INJUNCTIONS to prevent future violations of law ... Panel Membership (integrated and neutral no previously involved decision makers) ... – PowerPoint PPT presentation

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Title: Lyophilization Processes: A ComplianceEnforcement Perspective


1
Lyophilization ProcessesA Compliance/Enforcement
Perspective
  • Anne Johnson, Compliance Officer
  • Office of Regulatory Affairs/Office of
    Enforcement
  • Division of Compliance Management and Operations

DELAWARE VALLEY CHAPTER MEETING of
the INTERNATIONAL SOCIETY OF LYOPHILIZATION PLYMOU
TH MEETING, PA JANUARY 25, 2005
2
OBJECTIVES
  • Organizational Structure of FDA Compliance
  • FDAs Regulatory Options/Enforcement Posture
  • Specific Examples of Deviations
  • Written Responses
  • Dispute Resolution

3
F D A
4
OFFICE OF REGULATORY AFFAIRS
5
FDA DISTRICT
  • ORA DISTRICT INVESTIGATOR
  • ORA DISTRICT COMPLIANCE BRANCH
  • APPROPRIATE CENTER FOR REVIEW AND CONCURRENCE
    (CDER)
  • OFFICE OF CHIEF COUNSEL
  • ORA OFFICE OF ENFORCEMENT (HIGHER ACTIONS SUCH AS
    INJUNCTIONS, ETC.)

6
FDA DISTRICTS
  • LETTER ISSUED OR ACTION EXECUTED BY ORA DISTRICT
    STAFF
  • RESPONSES AND COMMUNICATIONS COORDINATED WITH
    DISTRICT STAFF

7
TEAM BIOLOGICS - Inspections
  • SPECIALIZED GROUP OF ORA INVESTIGATORS THAT
    REPORT TO ORAs OFFICE OF REGIONAL OPERATIONS
  • PRODUCTS COVERED
  • Vaccines, Allergenic Products, Plasma
    Fractionated Products, In Vitro Diagnostic
    Products, and Therapeutic Products (CBER and
    CDER)
  • Domestic and Foreign Establishments

8
TEAM BIOLOGICS - Compliance
  • SPECIALIZED GROUP OF ORA COMPLIANCE OFFICERS THAT
    REPORT TO ORAS OFFICE OF ENFORCEMENT
  • REVIEW AND EVALUATE INSPECTIONS PERFORMED BY TEAM
    BIOLOGICS INVESTIGATORS
  • WORK CLOSELY WITH CBER AND CDER COMPLIANCE
  • SUBJECT TO OCC REVIEW PROCEDURES

9
CENTER COMPLIANCE
  • CBER OFFICE OF COMPLIANCE AND BIOLOGICS QUALITY
  • CDER OFFICE OF COMPLIANCE

10
REGULATORY OPTIONS
  • ADVISORY ACTIONS
  • UNTITLED LETTERS
  • The agency has a need to communicate with
    regulated industry about documented violations
    that do not meet the threshold of regulatory
    significance

11
REGULATORY OPTIONS
  • ADVISORY ACTIONS (contd)
  • WARNING LETTERS
  • A Warning Letter is a written communication from
    FDA notifying an individual or firm that the
    agency considers one or more products, practices,
    processes, or other activities to be in violation
    of the Federal FDC Act, or other acts, and that
    failure of the responsible party to take
    appropriate and prompt action to correct and
    prevent any future repeat of the violation, may
    result in administrative and/or regulatory
    enforcement action without further notice.

12
REGULATORY OPTIONS
  • ADMINISTRATIVE ACTIONS
  • CITATIONS
  • DETENTIONS OF PRODUCT
  • LICENSE SUSPENSION AND REVOCATION
  • CIVIL MONEY PENALTIES
  • FDA ORDERED RECALLS (LIMITED)

13
JUDICIAL ACTIONS
  • SEIZURES an action against the product, not a
    person
  • INJUNCTIONS to prevent future violations of law
  • PROSECUTIONS a punitive action for past
    violations of law

14
ENFORCEMENT POSTURE
  • CONSUMER ACCESS TO SAFE AND EFFECTIVE PRODUCTS
  • VOLUNTARY CORRECTION

15
ENFORCEMENT POSTURE
  • PRODUCTS SCOPE AND IMPACT
  • PRIOR HISTORY VERY IMPORTANT
  • PREVIOUS INSPECTIONAL FINDINGS
  • RESPONSES
  • EFFECTIVENESS OF CORRECTIVE ACTIONS AND
    PREVENTATIVE MEASURES
  • ADVISORY AND ENFORCEMENT ACTIONS

16
ENFORCEMENT POSTURE
  • IMPORT ACTIVITIES
  • ALERTS
  • DETENTION OF PRODUCT
  • REFUSAL OF ENTRY

17
VIOLATION EXAMPLES
  • a temperature distribution study to assure that
    all shelves of the lyophilizers obtain and
    maintain a temperature of -40ºC during freeze
    drying operations has not been performed

18
VIOLATION EXAMPLES
  • The lyophilization cycle for the vial
    configuration has not been validated.

19
VIOLATION EXAMPLES
  • Failure to notify FDAofchanges in equipment
    and the product process for your productin
    thata six shelflyophilizer was installed and
    is being utilized in the freeze drying of your
    product.

20
VIOLATION EXAMPLES
  • lyophilizerdid not achieve the specified
    pressure during primary dryingPartially
    stoppered product vials were storedfor 62 hours
    inside lyophilizerno documentation that the
    impactwas evaluated

21
VIOLATION EXAMPLES
  • the lyophilization cycle currently in usehas
    not been validated

22
VIOLATION EXAMPLES
  • process validation was performed using data
    from eight lyophilization runs. Three lots were
    rejected, and one lot was not released

23
VIOLATION EXAMPLES
  • Failure to validate processes which can not be
    verified by subsequent inspection in that the
    lyophilization process has not been validated.

24
RESPONSES
  • Clear understanding of the deviation/violation
  • If you dont agree, then say so. Explain your
    reasoning
  • How and when???
  • - During the inspection,
  • - At the closeout,
  • - In your written response.

25
RESPONSES
  • An evaluation of the deviation/violation that
    includes
  • - the specific incident(s) cited
  • - impact on product(s) or process(es)
  • - specific corrective actions for that
    incident

26
RESPONSES
  • - possibility of other affected lots, products,
  • processes, manufacturing locations
  • - affected marketed lots/products
  • - global corrective actions, employee training,
    SOP revisions, etc.

27
Dispute Resolution
  • Policies and procedures that would allow rapid,
    objective resolution of scientific and technical
    questions and issues that may arise either during
    an inspection or as the result of an inspection.

28
Dispute Resolution Working Group
  • The goal of the working group was to promote
    integrity, neutrality, consistency, transparency,
    fairness and scientific soundness in the dispute
    resolution process.

29
WHO MAY DISPUTE?
  • The Manufacturer or Establishment that was
    inspected.
  • Domestic or International Entity
  • Human and Veterinary Drugs
  • Human Biological Drugs

30
WHY WOULD YOU DISPUTE?
  • A SATISFACTORY RESOLUTION COULD NOT BE OBTAINED
    DURING THE INSPECTION(complexity, etc)
  • - AND -
  • THE FDA-483 HAS BEEN ISSUED

31
What May Be Disputed?
  • A Scientific or Technical Issue related to Good
    Manufacturing Practices
  • Adequacy
  • Appropriateness
  • Interpretation
  • A Scientific or Technical Issue Raised During an
    Inspection
  • GMP CBER/CDER/CVM or
  • PAI CDER/CVM

32
What May Not Be Disputed?
  • Precise Requirements of the regulations or in
    an Approved Application
  • Issues Not Raised During An Inspection
  • Procedural or Administrative Issues
  • Writing style/wording differences

33
WHEN CAN YOU DISPUTE?
  • DURING THE INSPECTION, FDA STRONGLY ENCOURAGES
    OPEN DIALOGUE ON ALL ISSUES BY AND WITH THE
    INSPECTION TEAM IN HOPES TO HAVE ALL ISSUES
    UNDERSTOOD AND RESOLVED, IN THE MOST EFFICIENT
    MANNER.

34
WHEN?
  • TIER-1 WITHIN 10 BUSINESS DAYS OF THE ISSUANCE
    OF THE 483
  • TIER-2 WITHIN 60 DAYS OF RECEIPT OF THE TIER-1
    DECISION
  • Failure to adhere to these time frames could
    result in a refusal to consider

35
TIER-1 Initial Request For Resolution
  • Nature of dispute in written format
  • Include supporting documentation
  • This should not include any information that was
    not presented to the Inspection Team during the
    inspection.

36
TIER-1 Process
  • ORA Review and Evaluation
  • Written response within 30 days
  • We agree with you
  • We disagree with you
  • You request does not qualify or additional
    review time is needed

37
TIER-2 APPEAL INITIAL DECISION
  • Must be in written format
  • Request resolution by D.R. Panel
  • Nature of continuing dispute
  • Include supporting documents

38
TIER-2 Process
  • Dispute Resolution Panel
  • Panel Membership (integrated and neutral no
    previously involved decision makers)
  • Decide to accept, review, and evaluate
  • Dispute is reviewed during Panel Meetings

39
TIER-2 Process
  • D.R. Panel Review and Evaluation
  • Written response within 30 days
  • We agree with you
  • We disagree with you
  • You request does not qualify or additional
    review time is needed

40
FINAL DECISIONSTIER-1 and TIER-2
  • The Program Center is notified and makes decision
    available for public dissemination, to promote
    consistency of application and interpretation.

41
Questions?
42
References
  • Warning Letters are posted at www.fda.gov
  • Inspectional Guidances www.fda.gov/ora/inspect_r
    ef
  • Title 21 Code of Federal Regulations (CFR)
  • Draft Dispute Resolution Procedures
  • www.fda.gov/cder/guidance/5804dft.htm
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