RMP For Drug Establishments - 26 August 2015 PDF
RMP For Drug Establishments - 26 August 2015 PDF
RMP For Drug Establishments - 26 August 2015 PDF
Department of Health
FOOD AND DRUG ADMINISTRATION
A. REGULATORY
BASIS
Republic Act
No. 9711
Republic Act
No. 9711
• Section 5, (k)
Republic Act
No. 9711
• Section 5, (l)
Republic Act
No. 9711
• Article VII, Section 4 (h) of IRR of RA 9711
• Section V, D
Republic of the Philippines
Department of Health
FOOD AND DRUG ADMINISTRATION
Risk
a set of pharmacovigilance activities and
interventions designed to identify, characterise,
prevent or minimise risks relating to medicinal
products including the assessment of the
effectiveness of those activities and interventions
Risk Management
System
a detailed description of the risk management
system
Risk Management
Plan
From Risk Management Seminar (& Workshop)
presentation by Juancho Robles
Other Risk
Managements
Other Risk From Risk Management Seminar (&
Workshop) presentation by Juancho Robles
Managements
Other Risk
From Risk Management Seminar (& Workshop)
presentation by Juancho Robles
Managements
Republic of the Philippines
Department of Health
FOOD AND DRUG ADMINISTRATION
C. DRAFT FDA
CIRCULAR
I. Background/
Rationale
• implementation of an RMP → coordinated and
economical applications of resources to
minimize, monitor, and control the probability
and/or impact of risks to drug products with
respect to safety, efficacy, and quality
II. Objective
• to provide guidance on RMP as part of the
requirements for the issuance of LTO
1) Manufacturers
2) Distributors
3) Drugstores/Pharmacies/ Boticas including
hospital and institutional pharmacies
4) RONPDs
5) CROs
6) Sponsors
III. Scope
A. Risk Management Plan (RMP) for
Drug Establishments
• reqt for the licensing of drug establishments
– During initial for new establishments
– During renewal for existing establishments
• Must always be available for inspection
IV. Implementing
Details
B. Framework for RMP
1. Introduction
2. Risk Identification
3. Risk Minimization
4. Risk Communication
5. Risk Monitoring and Management
Evaluation
IV. Implementing
Details
a) Internal Environment – sets the basis on how
risks are viewed and addressed
Description of the establishment (objectives,
mission and vision, activities)
Responsibilities attached to the LTO
Description of the organization (heads,
functions and responsibilities/duties)
Risk management officer/team
1. Introduction
a) Internal Environment – sets the basis on how
risks are viewed and addressed
Other attached establishments/institutions
critical to the functioning of the
establishment
Contact information of responsible officers
during and beyond office hours
1. Introduction
For illustration purposes only
Internal Environment
• ABC Pharma Inc., is a licensed drug
distributor-importer with license number
LTO-123456 located at Alabang, Muntinlupa
city.
• ABC Pharma Inc. is owned by Juan dela Cruz
Sample only-DI
Internal Environment
• ABC Pharma Inc., is licensed to import raw
materials, active ingredients and/or finished
products for wholesale distribution to other
local FDA-licensed drug establishments.
• The following are my responsibilities as an
importer (petition form)
• As a Marketing Authorization Holder, the
following are my responsibilities with
regard to my products (petition form)
Sample only-DI
Internal Environment
• Attached is the organizational chart of the
establishment.
• In case of emergency, the following are the
contact information of the members of the
Risk Management Team
–A
–B
–C
b) Risk Management Approach – overall risk
management approach (processes, personnel
involved, periodic reporting and monthly
procedures to be performed)
1. Introduction
Sample only-DI
1. Introduction
Sample only-DI
1. Introduction
Sample only-DI
2. Risk
Identification
• Risk universe
• Assessment based on significance and likelihood
• Tabulated summary risk register:
– the priority risks
– the specific objectives under which the priority risks
belongs
– naming convention for each priority risks
• Risks not currently known and the planned
activities by the establishment to identify them
2. Risk
Identification
Sample only-DI
Risk Universe
Compliance to regulatory action
Recall Submission of CAPA Reporting to Inspector
Lack of time to check
Poor internet connection
Clients demanding for
product
Difficulty in coordinating
with retailers
Poor distribution records
Sample only-DI
Risk Universe
GSP
Cold-chain
Irregular checking
Lack of SOPs
Malfunctioning monitoring equipment
Power-outage
Malfunctioning refrigerator
Sample only-DI
Risk Universe
Business Ethics
Promotion Advertising Conventions
No time to review
promotional materials
Misleading promotional
designs
Low technical skills of
and/or unethical
detailmen
Pressure from physicians
Pressure from global
Sample only-DI
Assessment of risks
• Delphi method was used to assess the risks
identified in the risk universe and prioritize
them.
Sample only-DI
Unknown Risks
• The risk management team, as part of the
periodic review, will also address risks not
previously identified following SOP 2356
For each priority risks, indicate the corresponding
risk minimization plans. These plans may include
policies and procedures to ensure the identified
risks are prevented and/or minimized to an
acceptable level
3. Risk
Minimization
a) Routine risk minimization
Those planned activities conducted by the
establishment regularly to minimize the
risks
3. Risk
Minimization
b) Additional risk minimization
those planned activities conducted by the
drug establishment when routine risk
minimization activities are not sufficient to
manage a risk, or should a significant risk
occur
3. Risk
Minimization
For identified risks with no risk minimization
activities, appropriate justification must be
provided
3. Risk
Minimization
Sample only-DI
Risk Minimization
Business Ethics
Priority Risk Routine Risk Additional Risk
Minimization Minimization
Distribution Records Risk Ensure all relevant Special project to
information is complete complete existing
in the records records/problematic
records
Power-outage Risk Regularly view power Additional back-up
interruption schedule generator
Regular maintenance of
generator
Detailmen Promotion Initial training and Warning/sanction + re-
Risk registration of new training/orientation
detailmen according to following SOP 1214515
SOP 12345
Re-training after 1 year
• Communication system of drugstore to:
a) Internally
b) FDA
c) Consumers and HCP
d) Other relevant stakeholders
4. Risk
Communication
• Criteria when communication must be done
• Means for communicating
• Internal reporting procedure to management
and appropriate regulatory agencies
4. Risk
Communication
Sample only-DI
Risk Communication
Distribution Records Risk
Criteria Communication Content Medium
Recall from FDA Inform records Phone
management team to
review distribution
records immediately
Voluntary Recall Inform records Phone
management team to
review distribution
records immediately
Sample only-DI
Risk Communication
Power Outage Risk
Criteria Communication Content Medium
Continued power-outage Provide information to Phone
management/maintenanc
e regarding the risks to
quality and their
preparation
Sample only-DI
Risk Communication
Detailmen Training Risk
Criteria Communication Content Medium
Reporting of Physician of Memo as warning the Formal Letter
unethical/misleading detailmen of the
promotional practices complaint received
Monitoring of BOP-PRC Memo as warning the Formal Letter
detailmen of the
complaint received
Monitoring of FDA Memo as warning the Formal Letter
detailmen of the
complaint received
• Periodic monitoring of identified risks
• Criteria where evaluation is needed
• When RMP revision is required
IV. Implementing
Details
D. Monitoring of RMP
Implementation
• Trigger → FDA expects drug establishments are
implement their submitted RMP
• It is in this context – RMP is comprehensive to
cover significant risks, whether already
identified or yet to be identified
IV. Implementing
Details
V. Roles and
Responsibilities of MAH
and other Establishments
VII. Repealing/
Separability Clause
04 January 2016
VIII. Effectivity
Sample only-DS
Internal Environment
• DEF Drugs is a licensed drugstore with
license number LTO-123456 located at
Alabang, Muntinlupa city.
• DEF Drugs is owned by Juana dela Cruz
Sample only-DS
Internal Environment
• DEF Drugs is licensed to sell registered drug
products, including temperature sensitive
products, specifically vaccines to the general
public on a retail basis.
• The following are my responsibilities as an
drugstore (petition form)
Sample only-DS
Internal Environment
• Attached is the organizational chart of the
establishment.
• In case of emergency, the following are the
contact information of the Risk
Management Officer
–A
–B
–C
Sample only-DS
Risk
Objective name
Management
Objective Category
Particulars
Objectives
KRA KPI
Update to Up to date review Full compliance Up to date list of
advisories and of issued advisories
policies advisories
pertaining to
safety of drug
products
Up to date review Full compliance Up to date list of
of laws affecting policies and SOPs
drugstores
Compliance to Compliance to Full compliance; Up to date list of
regulatory action product recalls immediate advisories;
removal from shelf documentation on
returns
Compliance to GSP Compliance to Products stored Consistent
Cold-chain and maintained in temperature on
Compliance to correct temp monitoring charts
room temperature
monitoring
Sample only-DS
Risk Universe
Up to Date Advisories and Policies
FDA Advisories AO, FDA Circulars, Memos,
Memorandum Circulars
Lack of time to check
Lack of time to meet and discuss
Lack of time to change SOPs
Poor internet connection
Malfunctioning computer
Difficulty in interpreting
Sample only-DS
Risk Universe
Compliance to regulatory action
Recall Submission of CAPA Reporting to Inspector
Lack of time to check
Poor internet connection
Malfunctioning computer
Clients demanding for
product to be dispensed
Disapproval of Owner
Sample only-DS
Risk Universe
GSP
Cold-chain Room-temperature Lock and Key Products
products
Irregularly checking
Lack of SOPs
Malfunctioning monitoring equipment
Power-outage
Malfunctioning refrigerator
Sample only-DS
Assessment of risks
• Delphi method was used to assess the risks
identified in the risk universe and prioritize
them.
Sample only-DS
Unknown Risks
• The risk management officer, in
coordination with the store staff, as part of
the periodic review, will also address risks
not previously identified following SOP
2356
Sample only-DS
Risk Minimization
Naming Convention Routine Risk Additional Risk
Minimization Minimization
Interpretation Risk Conduct regular Consult with local chapter
discussion with staff and or national association
owner Consult with FDA
Time Management - Risk Allot specific time for No additional risk
checking FDA Website minimization required
Conduct regular
discussion with staff and
owner (presentation of
new policies) and
removal from shelf
Power-outage Risk Regularly view power Continued power-outage:
interruption schedule transfer products
Preparation of
contingency
(Cooler/generator)
Sample only-DS
Risk Communication
Time Management Risk
Criteria Communication Content Medium
Supplier has not Follow-up supplier Phone
contacted the store on
products recalled
Sample only-DS
Risk Communication
Power Outage Risk
Criteria Communication Content Medium
Continued power-outage Provide information on Phone
owner regarding the
possibility of poor quality
meds
Contact supplier for any Phone
assistance
Sample only-DS
D. DISCUSSION
ISO 31000
Annex 20, PIC/S-GMP
ICH Q9
US FDA: Quality Risk
Management