World Health Organization Prequalification of Medicines



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Transcription:

Dr André van Zyl World Health Organization Prequalification of Medicines Manufacturers meeting April 2011 Head of Inspections vanzyla@who.int 1

WHO GMP In this presentation: Background and Introduction GMP WHO PIC/S EU - USA Manufacturer survey 2010 Discussion 2

GMPs WHO GMP First WHO GMP published in 1967 Revised on an ongoing basis Revisions circulated for comment, informal consultations Expert Committee published in TRS Main principles "Supplementary" guidelines Used in over 100 countries EU and PIC/SGMP Directives published in 1989 Other "local" GMP existed well before this date PIC formed in 1970, PIC/S formed in 1995 EU and PIC/S GMP similar PIC/S GMP based on WHO GMP 39 Participating authorities 3

WHO and PIC/S GMP WHO GMP Main principles Sterile product manufacture Heating, Ventilation and Air Conditioning (HVAC) systems Water for pharmaceutical use Quality Control laboratories Radiopharmaceuticals Good Storage Practices (GSP) Good Distribution Practices (GDP) Good Trade and Distribution Practices (GTDP) Sampling Herbal products Hazard Analysis and Critical Control Point (HACCP) Reference standards Validation GMP for APIs PIC/S GMP Main principles Manufacture of sterile medicinal products Manufacture of biological medicinal products for human use Manufacture of radiopharmaceuticals Manufacture of veterinary medicinal products other than immunologicals Manufacture of immunological veterinary medical products Manufacture of medicinal gases Manufacture of herbal medicinal products Sampling of starting and packaging materials Manufacture of liquids, creams and ointments Manufacture of pressurised metered dose aerosol preparations for inhalation Computerised systems Use of ionising radiation in the manufacture of medicinal products Manufacture of investigational medicinal products Manufacture of products derived from human blood or human plasma Qualification and validation Parametric release GMP Guide for active pharmaceutical ingredients 4

Examples WHO PIC/S 16.17 Means should be instituted of indicating failures of equipment or of services (e.g. water, gas) to equipment. Defective equipment should be withdrawn from use until the defect has been rectified. After use, production equipment should be cleaned without delay according to detailed written procedures and stored under clean and dry conditions in a separate area or in a manner that will prevent contamination. 16.18 Time limits for storage of equipment after cleaning and before use should be stated and based on data. 16.19 Containers for filling should be cleaned before filling. Attention should be given to avoiding and removing any contaminants such as glass fragments and metal particles. 5

Examples WHO 16.23 Measuring, weighing, recording, and control equipment and instruments should be serviced and calibrated at prespecified intervals and records maintained. PIC/S 3.41 Measuring, weighing, recording and control equipment should be calibrated and checked at defined intervals by appropriate methods. Adequate records of such tests should be maintained. To ensure satisfactory functioning, instruments should be checked daily or prior to use for performing analytical tests. The date of calibration and servicing and the date when recalibration is due should be clearly indicated, preferably on a label attached to the instrument. 6

Survey Manufacturer's survey done in 2010 contracted party Limited to identified manufacturers with prequalified products - majority in India Online questionnaire divided into four sections: 1. Previous PQP Experience 2. PQP Service Design (process) 3. PQP Service Delivery (people) 4. Other Aspects of the PQP Section 2 (Design) is custom to the PQP developed as a result of a process review with the WHO PQP Staff and a series of interviews with pharmaceutical manufacturers Two multi-item questions for both assessments and inspections Two separate multi-item questions each for assessments and inspections respectively Section 3 (Delivery) is a widely-applied scale of service quality, SERVQUAL (Parasuraman, Zeithaml, Berry) 1, developed in the 1980 s; refined and applied over past 25 years Five separate multi-item questions each for assessments and inspections respectively Section 4 is also custom to the PQP and includes advocacy, training and compliance aspects of the PQP 7

Survey A list of potential survey participants was compiled by the WHO PQP Staff using internal records Regulatory Affairs Professionals (assessment of product dossiers) Quality Assurance Professionals (on-site inspections) Inclusion criterion: participation in the PQP of Medicines 2006-2010 Contact list represents known population of manufacturer PQP participants: 75 original contacts; later revised to 62 (30 regulatory, 32 QA) Sampling plan: census all contacts received an e-mail invitation All invitations sent by e-mail with two reminders; some follow up telephone reminders 41 completed surveys received by 20 July (66% response rate) Surveys oriented toward assessment of product dossiers: 18 Surveys oriented toward on-site inspections: 23 8

Survey Average Rating 7.0 6.0 5.0 4.0 3.0 6.4* 6.1 6.1* 6.1* 6.1* 6.0 6.0 5.8 5.8 5.3* 5.3 5.0* 5.0* 5.0* 4.8* 2.0 1.0 Providing clear explanations of good manufacturing practice deficiencies observed during inspection of a manufacturing site Providing applicants / manufacturers with timely announcements of inspections Providing a site inspection plan that includes all the information needed to prepare for an inspection Providing direct access to inspectors to address technical questions or deficiencies Providing an efficient process to resolve issues and questions raised during the inspection of manufacturing sites 9

Survey Question Item Comment Q7C.1 Q7C.1 Providing clear explanations of good manufacturing practice deficiencies observed during inspection of a manufacturing site Providing clear explanations of good manufacturing practice deficiencies observed during inspection of a manufacturing site Review of pre-qualification dossiers and subsequent responses should be addressed on a fast tract to help the FP manufacturer's. Inspection process is fair and upto the mark. Q7C.1 Providing clear explanations of good manufacturing practice deficiencies The deficiencies must be evaluated with risk to product, patient and process observed during inspection of a manufacturing site Q7D.1 Providing clear interpretation of GMP requirements At least once in 6 months followup audit by QA professional of other organization. example: Mylan labs QA head audit aurobindo facily or Aurobindo QA head audit Mylan facilty Q7D.1 Providing clear interpretation of GMP requirements If more training programs for pharmaceutical manufacturers could be organized, it would be much better. Q7D.1 Providing clear interpretation of GMP requirements I am happy with the way pre-qualification program is conducted. No additional suggestions from me. The process of dossier evaluation and the process of inspection are transparent and people from WHO are approachable. Q7D.2 Providing an efficient process to resolve issues and questions raised following the inspection of manufacturing sites Interpretation of regulatory guidlines should be clear. Q7D.3 Providing an inspection process that makes efficient use of manufacturers should indicate inspection process earlier time Q7D.4 The clarity of questions asked during the inspection process 1. Thorough communication with the manufacturers; 2. Interpretation and application of GMP terms. Q7D.4 The clarity of questions asked during the inspection process On new aspects / updation in expectation of regulatory, site team must be briefed Q7D.4 The clarity of questions asked during the inspection process We are simultaneously working for compliance with all regulatory authorities. Sometimes we come across discrepancies in standards of different authorities. At such times we expect guidance from WHO on which standards should be followed so that we have harmonised standards for all global regulatory authorities. For example guidance on tablets formulations by Dr. Van Zyl is available, we expect similar guidance for other formulations. Q7D.4 The clarity of questions asked during the inspection process Some of the questions could be more specific and practical. If the manufacturer's response is not satisfactory, the inspector should say so on site and, if possible/appropriate, provide some further instructions. Q7D.5 Including inspectors from your country or region on the inspection team Outof 4 WHO inspcetions, only one tine inspector from our country participated in the audit only for an hour. That's why rated 3. Need to have firm commitment from Minsitry of Health for auditing facilities along with WHO Geneva auditors. A report from WHO auditors to ministry of health regarding prsence of local inspector and on his performance may improve this. Q7D.5 Including inspectors from your country or region on the inspection team Inconsitencies between Inspectors style and willingness to understand different interpretations of GMP and means of achieving the same needs to be addressed 10

Survey: Comments in responses Providing clear explanations of GMP deficiencies observed during inspection of a manufacturing site Review of dossiers and subsequent responses should be addressed on fast track Inspection process is fair and up to the mark Deficiencies must be evaluated with risk to the product, patient and process Providing clear interpretation of GMP requirements, resolving issues and clarity of questions Satisfied. Transparent If response is not clear on site (following inspectors questions) - then should say so on site and provide some suggestions Inspectors inconsistent in willingness to understand different interpretations of GMP s 11

Survey: Comments in responses 7.0 6.0 6.3* 5.7 6.1* 5.6 6.3* 6.2 6.0 5.8 5.5* Average Rating 5.0 4.0 3.0 5.0* 4.7* 4.7* 5.1* 4.3 4.2 2.0 1.0 Providing clear interpretation of GMP requirements Providing an efficient process to resolve issues and questions raised following the inspection of manufacturing sites Providing an inspection process that makes efficient use of manufacturers time The clarity of questions asked during the inspection process Including inspectors from your country or region on the inspection team 12

Survey: Comments in responses 50% 40% 30% 20% 10% 0% 1 2 3 4 5 6 7 Less Stringent --- More Stringent WHO GMP vs US CFR and EU GMP: Interclarity Research & Consulting, Inc. 13

When asked how strongly they agree or disagree with the statement "WHO GMP requirements are more stringent than EU or US FDA GMP requirements", the majority of manufacturers indicated that they were more stringent. Comment It is quite descriptive and elaborative. Interpretation of WHO guidelines are very easy compared to others.even minute points covered in WHO GMP. The sampling plan and protocols should be made more strict. Such as provisions about sampling and the approval of changes etc. WHO is specififying, how to perform the activities alongwith scientific rationale and explanations. The inspection takes a long time, it covers a wide range of areas The requirement of EU / MHRA is more as compared to WHO, it need to be harmonise Sometimes they ask us to perform certain studies thrice which are not required by any other regulatory bodies Regarding the aspects of safety and effectiveness very specific like one batch vs 3 batch requirement for filling eg. conducting all ID tests on each container even if a robust ID test is available for each container. The guidance are more detailed, specific and useful such as Guidance on HVAC & Water System All are respected. Again this is a general comment where the guideline points are interpreted differently and understanding of the inspectors whrere guideline are general. Each and every points of the WHO guideline are covered while the inspection & suggesions were provided with observations for compliance & suffieicnet time is give implementaion of corrective actions. All supporting documents were also required for compliance to closure of audit. accelerated Stability data requirement is 6months in case of WHO and where as 3months with USFDA. Validation data of three batches is a part of PQF. where as one batch and a commitment in USFDA. The way WHO regulations are laid out and implemented, takes into account best of both EU and US FDA GMP requirements. It covers overall GMP, products and processes. The WHO requires 100% sampling from each container of a raw materia's lot when received for manufacturing a formulation even if the vendor is validated. It focuses more on the operational levels, not just paper work or procedures evidence. It also emphysizes detailed practice and skills/capbility of employees. 14

Comments (WHO GMP more stringent) Quite descriptive and elaborate. Interpretation of WHO GMP is very easy compared to others. Even minute points are covered in WHO GMP Guidances are more detailed, specific and useful such as HVAC and Water WHO guidelines take into account the best of EU and FDA. It covers overall GMP, products and processes WHO explains how to perform activities alongside with scientific rationale and explanations Sampling The sampling plan and protocols should be made more strict Provisions about sampling and the approval of changes WHO requires 100% sampling from each container even if the vendor is validated Asking all ID tests on each container even if a robust ID test is available Inspections take a long time and cover a wide range of areas It focuses more on operational levels not just paper work or procedure evidence The requirement of EU / MHRA is more compared to WHO - need to harmonize They ask us to perform some studies thrice while others don't Very specific like asking 3 batches for filing Regarding safety and effectiveness Accelerated stability data required for 6 months where FDA requests 3 months. Validation of three batches opposed to one batch data (FDA) Guidelines are general and different interpretations by inspectors 15

The way forward Invite comments from the floor Discussion List recommendations WHO Procedure: Secretariat will take it to the Expert Committee Discussion, recommendation: Action if needed Revision, comment, informal consultation, Expert Committee 16