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Title: FEEDBACK ON AFRICA REGULATORY CONFERENCE


1
FEEDBACK ON AFRICA REGULATORY CONFERENCE
  • FEBRUARY 2008

2
TOPICS ADDRESSED
  • The Importance of Pharmaceutical RD
  • Role of Africa in Clinical Development
    Regulatory Implications
  • Accelerating Access of Medicines to Address
    Diseases of PublicHealth Importance
  • EU Regulatory Assessment Using Article 58
  • WHO Prequalification Scheme
  • Biosimilars
  • Update on ICH-GCG and Interface with Regional
    Harmonisation Initiatives

3
TOPICS ADDRESSED
  • Experience and Successes of EU Accession
  • Update on SADC Including the Perceived Benefits
    and Challenges of
  • Harmonisation
  • ICH Quality
  • Quality Risk Management
  • GMP and the Pharmaceutical Inspection Cooperation
    Scheme
  • Journey into PIC/S
  • WHO Certification Scheme
  • The Place of the CPP in Guaranteeing Quality,
    Safety, and Efficacy
  • The Roles of the WHO IMPACT Groups
  • Industry Perspective of Counterfeits Regulatory
    Implications
  • Addressing the Counterfeit Issue

4
Update on SADC Including the Perceived Benefits
and Challenges of Harmonisation
5
The Southern African Development Community
  • Angola,
  • Botswana,
  • Democratic Republic of Congo,
  • Lesotho,
  • Madagascar (membership pending),
  • Malawi,
  • Mauritius,
  • Mozambique,
  • Namibia,
  • Seychelles,
  • South Africa,
  • Swaziland,
  • Tanzania,
  • Zambia and
  • Zimbabwe.

6
SADC OBJECTIVE
  • To build a Region in which there will be a high
    degree of harmonization and rationalization to
    enable the pooling of resources to achieve
    collective self-reliance in order to improve the
    living standards of the people of the region.

7
HARMONIZED PHARMACEUTICAL PROGRAMME
  • implement a harmonized Pharmaceutical Programme
    -SADC Health Protocol and the SADC Health Policy.
  • Programme purpose
  • to enhance the capacities of Member States to
    effectively manage diseases and medical
    conditions that are of major concern to public
    health in the Region such as HIV and AIDS, TB,
    Malaria and other communicable diseases.

8
SADC CHALLENGES
  • numerous challenges related to Harmonizing the
    Regulation of Medicines.
  • different stages of development in terms of
    regulatory capacities in the Region
  • some regulatory authorities have more advanced
    systems than others.
  • setback due to the emergence of
  • multidrug resistant Tuberculosis
  • high incidences of the HIV and AIDS
  • prevalence of resistant malaria parasites to
    affordable medicines
  • and resistance of mosquitoes to insecticides.
  • fight against proliferation of substandard and
    counterfeit medicines within the Region.
  • The Region has not been spared in terms of human
    resource for health constraints due to brain
    drain.

9
SADC GUIDELINES HAVE NOW BEEN FINALIZED
APPROVED
  • Registration of medicines
  • Licensing of pharmaceutical establishments
  • Licensing for export / import
  • Post-marketing surveillance
  • Medicines Donations
  • Recalls,
  • Stability and Validation
  • Biavailability/bioequivalence
  • Advertising and promotion of medicines
  • Clinical trials and
  • Nutritional supplements

10
CONTACT
  • Joseph MthetwaSenior Programme Manager for
    Health and PharmaceuticalsDirectorate for Social
    and Human Development and Special
    ProgrammesSouthern African Development Community
    Secretariat (SADC)Kgale View OfficesPrivate Bag
    0095GaboroneBotswanaTel       267
    3951863Fax      267 3972848 / 267
    3181070Mobile   267 71720972E-mail
     JMthetwa_at_sadc.int or  josephmthetwa_at_yahoo.co.uk

11
WHO Certification Scheme
12
The WHO Certification Scheme
  • Is an administrative tool developed in response
    to the requests of WHO Member States
  • Is a voluntary/non binding agreement between WHO
    Member States
  • Is information exchange mechanism on the quality
    of imported drugs
  • Is intended to give assurance to countries that
    are importing pharmaceutical products but have no
    capacity or limited capacity to assess the
    safety, efficacy and the quality of the drugs
    they import
  • Is intended to facilitate availability and trade
    in pharmaceuticals by ensuring safety, efficacy
    and quality

13
Three types of certificates are issued under the
current Scheme
  • Certificate of a Pharmaceutical Product (Product
    Certificate) or CPP
  • Model Batch Certificate of a Pharmaceutical
    Product
  • Model Statement of Licensing Status of
    Pharmaceutical Product (s)

14
Issuing a certificate
  • The certifying authority is responsible for
    assuring the authenticity of the certified data.
  • Certificates should not bear the WHO emblem, but
    a statement should always be included to confirm
    whether or not the document is issued in the
    format recommended by WHO.

15
Advantages of the Scheme
  • It uses standard format
  • It can enable importing countries to get all the
    information they need to know about the product
    they import
  • It can enhance the exchange of information
    between countries and can lead to harmonisation
    of information
  • It can oblige certifying authorities to disclose
    important information to the importing country

16
Limitations of the Scheme
  • Rely on the honesty and competence of the issuing
    authorities
  • A certificate is as good as the certifying
    authority
  • Requirements differ in countries for MA
  • More applies to generic drugs?
  • Counterfiet certificates reality
  • Sample of fake logo from web site

17
WHOs recommendation
  • Communicate directly with the issuing authorities
    to build confidence and trust
  • Contact the certifying authority and ask for the
    duplicate of the certificate to be sent directly,
    if in doubt
  • Seek assistance from WHO

18
Problems
  • Consistency with WHO Certification Scheme
  • WHO format not adopted in all issuing countries,
    authorities continuing to issue Free Sales
    Certificates e.g. France
  • Embracing the Spirit of the Scheme by Issuers and
    Recipients
  • CPPs cannot be issued if the product is not
    exported from the country (but does have MA)
  • Receiving countries do not accept CPPs for
    products that are not marketed in the issuing
    country
  • Long delays in issuance of CPPS
  • Excessive demands from recipients

19
What are the issues?
  • Can all national regulators assess and inspect
    all the new innovative products that come to
    their markets?
  • Does repetitive assessment and inspections give
    added value?
  • How to build confidence in scientific assessments
    carried out by other parties?
  • How regulators can best contribute to the public
    health with the resources they have?

20
What is a Free Sale Certificate?
  • issued by the national health authorities
  • product specific
  • States product is for "free sale" within the
    country of origin.
  • the product is not necessarily licensed/ the
    product is of a quality suitable for being placed
    on the market.
  • does not guarantee that the product in question
    is marketed in the country of origin.

21
What is a CPP (Certificate of Pharmaceutical
Product)?
  • issued by the national health authorities-request
    from
  • manufacturer,
  • customer or
  • authorities in the importing country.
  • product specific
  • states whether or not the product is marketed in
    the country of origin.
  • states that manufacturer of product complies with
    GMP and that they are inspected regularly by the
    national health authorities.
  • The World Health Organization (WHO)- standard
    format for this type of certificate and
    recommends that this format is used instead of
    the Free Sale Certificates.
  • A CPP (WHO format) generally covers the need for
    overall documentation regarding the product as
    well as the manufacturer. It should therefore not
    be necessary to request any of the certificates
    mentioned above. The certificate is also called a
    WHO certificate.

22
CPP has two DISTINCT parts
  • Evidence of Positive Quality, Safety and Efficacy
    (QSE) Reviewassurance of QSE without the cost
    and time of a large local regulatory
    infrastructure
  • Evidence of Compliance with Good Manufacturing
    practice (GMP)Certification of GMP for issuing
    countrys sourcing route

23
WHO Prequalification Program
24
PREQUALIFICATION PROGRAMME A United Nations
Programme managed by WHO
  • VisionGood quality medicines for everyone.
  • Key output
  • The list of prequalified medicinal products
  • HIV/AIDS, malaria, tuberculosis and for
    reproductive health produced by the Programme is
    used principally by United Nations agencies
    including UNAIDS and UNICEF to guide their
    procurement decisions. 
  • the list -a vital tool for any agency or
    organization involved in bulk purchasing of
    medicines, be this at country level, or at
    international level, as demonstrated by the
    Global Fund to Fight AIDS, Tuberculosis and
    Malaria.

25
Is quality of medicines still a big problem?
  • Panama case in 2006. It turned out the cause of
    death of more than forty five persons was simple.
    The cough syrup and potentially other medicines
    produced in the governmental pharmaceutical
    factory were contaminated.
  • The death were caused by diethylene glycol (DEG)
    found in medicines. DEG is a chemical cousin of
    antifreeze and used widely by various industries.
    It is toxic to the kidneys and can cause deadly
    renal failure.

26
How it works
  • Any manufacturer wishing their medicines to be
    included in the prequalified products list are
    invited to apply.
  • present extensive information on the product (or
    products) submitted to allow qualified assessment
    teams to evaluate its quality, safety and
    efficacy.
  • The manufacturer open its manufacturing sites to
    an inspection team which assesses working
    procedures for compliance with WHO Good
    Manufacturing Practices (GMP).
  • Alternatively, the inspections carried out by
    stringent regulatory bodies are recognized and
    their work is not duplicated by WHO.
  • assessment teams include experts from some of
    the national regulatory authorities of the
    European Union as well as Canada and Switzerland.
  • The prequalification process takes a minimum of
    three months if the product meets all the
    required standards.

27
Assessment procedure- Product dossiers
  • Innovator products
  • Abridged procedure if approved by stringent
    authorities like EMEA and US FDA
  • Assessment reports from Drug Regulatory
    Authorities (DRSs), WHO Certificate of
    Pharmaceutical Product (CPP), batch certificate,
    update on changes
  • Trusting scientific expertise of well-established
    DRAs
  • Multisource products
  • Full dossier with all data and information
    requested
  • Quality information on starting materials and
    finished product including API details,
    specifications, stability data, formulation,
    manufacturing method, packaging, labelling etc
  • Efficacy and safety Bio-equivalence study or
    clinical study report
  • US FDA tentative approvals for ARVs recognition
    scientific assessment based on information
    exchange (Confidentiality agreement between US
    FDA and WHO) the same approach apply for EU Art
    58 and Canadian JCPA procedure)

28
The list of medicines
  • Medicines which have been found to meet the
    required standards
  • In soliciting applications from companies, WHO
    does not question whether the products presented
    are patented or generic,

29
Why the prequalification is needed?
  • Risks
  • Sourcing of poor quality products or even
    counterfeit medicines? risk to patients, toxic
    reactions, treatment failure, resistance
  • ? bad quality (generic) products undermine
    public confidence
  • Problems
  • Millions of people living with HIV/AIDS,
    tuberculosis and malaria, have no or limited
    access to treatment
  • Substandard and counterfeit products in different
    countries
  • Weak or absent QA systems of medicines supply
    chain
  • Lot of money invested in procurement ?products
    with very different quality sourced

30
Article 58 EMEA's Scientific Opinion
  • European legislation (Regulation 726/2004)
    excluded licensure of vaccines and other
    medicinal products for exclusive use outside the
    European Community.
  • concern since licensure of priority vaccines for
    developing countries would become the
    responsibility of the national regulatory
    authorities (NRAs) of user countries, which, in
    the past, relied on the regulatory evaluation of
    the NRA of the country of origin to assure
    quality.
  • To ensure no disruption in the supply of vaccines
    and medicinal products that are important for
    developing countries a consultation and
    collaboration between EMEA and WHO led to the
    Article 58 in the new Regulation.
  • Article 58 establishes a mechanism whereby the
    EMEA may give a Scientific Opinion, in the
    context of cooperation with WHO, for the
    evaluation of certain medicinal products for
    human use intended exclusively for markets
    outside the Community. The procedure for
    implementation of Article 58 Scientific Opinion
    procedure, effective since May of 2005 begins
    with the request from the company to EMEA to
    assess the eligibility of the product for
    Scientific Opinion. WHO's input takes place in
    two instances
  • evaluation of eligibility of the vaccine for
    Scientific Opinion by EMEA
  • participation of experts proposed by WHO in the
    product evaluation process.
  • So far, one vaccine has gone through the review
    by WHO and deemed eligible for Scientific
    Opinion. There is indication that a few more
    vaccines will follow shortly.

31
IN CONCLUSION
  • It's not enough to have lived we should be
    determined to live for something.
  • May I suggest that it be creating joy for others,
  • sharing what we have for the betterment of
    personkind,
  • bringing hope to the lost and love to the lonely.
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