Title: U.S. FDA Approach to Auditing Including QSIT
1U.S. FDA Approach to Auditing Including QSIT
- Christine Nelson
- Center for Devices Radiological Health
- Food Drug Administration
2FDA-Speak Terms
- Inspection Audit
- Investigator Auditor
3Why does FDA inspect device manufacturers?
- To evaluate compliance with the following FDA
device regulations - Quality Systems
- Medical Device Reporting
- Medical Device Tracking
- Reports of Corrections and Removals
- Registration and Listing
4Who conducts inspections for FDA?
- FDA investigators in 20 FDA District Offices
around the U.S. - FDA-trained Auditors from Conformity Assessment
Bodies in the European Union (EU) - In the future, FDA-trained auditors from
independent third parties accredited by FDA
5How does FDA decide who to inspect?
- Registration database identifies who manufactures
devices for distribution in the U.S. - Listing database identifies what devices they
distribute - FDA prioritizes inspections by risk and gives
higher risk devices/situations a higher priority
6What is high priority for inspection?
- Device manufacturers that
- Make class III devices
- Make implantable devices and life supporting and
life sustaining devices - Recently introduced a new device to the market
- Have had significant violations in the past
7Does FDA notify the manufacturer of an upcoming
inspection?
- FDA calls domestic manufacturers about 5 days
before the inspection - FDA contacts foreign manufacturers 2 - 3 months
in advance to schedule inspection - Manufacturer is requested to send Quality System
Manual or equivalent for pre-inspection review
8What happens when the FDA investigator arrives at
the site?
- The FDA investigator will
- Ask to see the top management
- Present credentials (identifies person as an FDA
investigator) - Issue notice of inspection explaining FDAs legal
authority to inspect (only in the U.S.)
9What happens during the inspection?
- Investigator may tour the facility to get an idea
of layout, workflow, and areas that may need
closer inspection - This helps the investigator decide how to
organize the inspection
10What happens next?
- The investigator will
- Ask about size and structure of company, who is
in charge, what products are manufactured there - Review registration and listing
- Evaluate compliance with FDA regulations using
the Quality System Inspection Technique (QSIT)
11What is QSIT?
- www.fda.gov/ora/inspect_ref/igs/qsit/qsitguide.htm
12What is QSIT?
- Identifies 4 major subsystems to evaluate and
states the purpose and importance of each
subsystem - Provides flowcharts and inspectional objectives
to cover during inspection - Offers advice
- Provides tables for statistical sampling of
records for review
13What are the four main subsystems?
Corrective Preventive Actions
Design Controls
Production Process Controls
Management
Equipment Facility Controls
MaterialControls
Records, Documents, Change Controls
14What does FDA look for in the Management
Subsystem?
- Quality Policy established?
- Management representative appointed?
- Management reviews conducted?
15What does FDA look for in the Management
Subsystem?
- Quality audit procedures established and quality
audits conducted? - Quality plan established?
- Quality system procedures established?
16What does FDA look for in the Design Control
Subsystem?
- Design procedures and plan established?
- Design inputs or requirements for device
identified? - Design outputs or specifications for device
identified? - Design verification conducted?
- Design validation conducted?
17What does FDA look for in the Design Control
Subsystem?
- Software validation completed?
- Risk analysis carried out?
- Design reviews conducted?
- Design transfer to manufacturing completed
successfully?
18What does FDA look for in the Corrective and
Preventive Action Subsystem?
- CAPA procedures established?
- Sources of data analyzed to identify
nonconforming product and quality problems? - Statistical analysis across data sources?
- Investigations conducted to identify root cause
of failures?
19What does FDA look for in the Corrective and
Preventive Action Subsystem?
- Nonconforming product controlled?
- Appropriate corrective actions and preventive
actions carried out? - Those responsible are told about CAPA activities?
- Management review of CAPA activities?
20What does FDA look for in the Production and
Process Control Subsystem?
- Processes are controlled and monitored?
- Any rejects or nonconforming product?
- Equipment adjusted, calibrated and maintained?
21What does FDA look for in the Production and
Process Control Subsystem?
- Manufacturing processes validated or fully
verified? - Software validated?
- Production employees trained and qualified?
22What about the other subsystems?
- The other three subsystems are covered through
links with the four main subsystems - Records, documents and change control
- Facility and equipment control
- Material control
23What happens at the end of the inspection?
- The investigator will
- Meet with management to discuss the inspection
- Present the FDA 483 list of observations of
any significant deficiencies - Discuss the deficiencies
24What should the manufacturer do after the
inspection?
- Send a letter to FDA identifying how they have
corrected deficiencies or will correct them - Provide documentation of any corrections that
have been completed - Provide a timetable or estimated completion date
for future corrections
25Where should I send the letter?
- Office of Compliance
- Center for Devices and Radiological Health (CDRH)
- Food and Drug Administration
- 2094 Gaither Road, HFZ-300
- Rockville, Maryland 20850
- U.S.A.
26Center for Devices Radiological Health
27Office of Compliance
- Division of Enforcement A
- Dental, ENT Ophthalmic Devices
- OB/GYN, Gastro Urology Devices
- General Hospital Devices
- General Surgery Devices
- Division of Enforcement B
- Cardiovascular Neurological Devices
- Diagnostic X-ray Devices
- Electronic Products Devices
- Orthopedic, Physical Medicine Anesthesiology
Devices
28What happens next?
- Investigator writes an Establishment Inspection
Report or EIR - EIR is sent to the Office of Compliance, Center
for Devices and Radiological Health (CDRH) - Inspection is classified based on inspectional
findings - Office of Compliance reviewer writes Warning
Letter for inspection classified OAI
29How does FDA classify inspection reports?
- NAI No action indicated
- VAI Voluntary action indicated some
deficiencies identified but not serious - OAI Official action indicated serious
deficiencies identified, and FDA must
take action to assure correction
30What actions can FDA take to address OAI
inspections?
- For device manufacturers outside the U.S.
- Warning Letter
- Warning Letter Automatic Detention
31Warning Letter
- FDA sends Warning Letter describing
manufacturers violations of FDA regulations and
requesting a reply within 15 days
32Warning Letter Automatic Detention
- FDA sends Warning Letter describing
manufacturers violations of FDA regulations and
requesting a reply within 15 days - Manufacturers products are put on
automatic detention to prevent
them from entering the U.S.
33What will the Warning Letter say about Automatic
Detention?
- Given the serious nature of these violations of
the Act, all products manufactured at this
facility may be detained without physical
examination upon entry into the United States. In
order to prevent your devices from being detained
without physical exam, your firm will need to
respond to this Warning Letter (as set forth
below) and correct the violations noted in this
letter. In addition, the agency usually needs to
conduct a follow-up inspection to verify that the
appropriate corrections have been implemented.
34How do I get my devices off automatic detention?
- Submit documentation to FDA showing that
deficiencies have been corrected - FDA will inspect you to confirm that corrections
are adequate before lifting automatic detention
35Where can I get more information about FDA
inspections and regulations?
- QSIT
- http//www.fda.gov/ora/inspect_ref/igs/qsit/QSITGU
IDE.PDF - http//www.fda.gov/ora/inspect_ref/igs/qsit/qsitgu
ide.htm - Inspections of Medical Device Manufacturers
Compliance Program 7382.845 http//www.fda.gov/or
a/cpgm/default.htmdevices More . . .
36Where can I get more information about FDA
inspections and regulations?
- Quality system regulation http//www.accessdata.f
da.gov/scripts/cdrh/cfdocs/cfcfr/CFRSearch.cfm?CFR
Part820 - General quality system info http//www.fda.gov/cd
rh/devadvice/32.html - Investigations Operations Manual
http//www.fda.gov/ora/inspect_ref/iom/default.htm
More . . .
37Where can I get more information about FDA
inspections and regulations?
- Other medical device regulations
http//www.fda.gov/cdrh/devadvice/ - Division of Small Manufacturers, International
and Consumer Assistance - E-mail
dsma_at_cdrh.fda.gov - Christine Nelson E-mail mcn_at_cdrh.fda.gov
38Summary
- Quality System Inspection Technique (QSIT)
- How FDA conducts inspections
- What should a manufacturer do after an inspection
- Warning Letter or Warning Letter Automatic
Detention - Where to go for more information