Process Validation FDA
Process Validation FDA
Grace E. McNally Senior Policy Advisor U.S. Food and Drug Administration Center for Drug Evaluation and Research Office of Compliance Division of Manufacturing and Product Quality
Agenda
1. CGMPs and Process Validation (PV) for drug manufacturing 2. Lifecycle approach: Stage 1 (Process Design), Stage 2 (Process Qualification) and Stage 3 (Continued Process Verification) 3. Comments to the 2008 Draft
2.
Sec. 211.84 ( (b) - Representative samples of each shipment of each lot shall be collected for testing or examination. The number of containers to be sampled, and the amount of material to be taken from each container, shall be based upon appropriate criteria such as statistical criteria for component variability, confidence levels, and degree of precision desired, the past quality history of the supplier, ..
11
Applicability of PV Guidance
The 2011 PV Guidance does not specifically apply to validation of sterilization and cleaning processes. Other more prescriptive agency guidance on specific unit operations or specific processes should be considered the primary reference.
E.g., Aseptic Processing Guidance for Industry: Sterile Drugs Produced by Aseptic Processing should be considered primary guidance
GEMcNally, FDA, May 6, 2011 12
Final PV Guidance
Process validation is defined as the collection and evaluation of data, from the process design stage through commercial production, which establishes scientific evidence that a process is capable of consistently delivering quality product.
A series of activities taking place over the lifecycle of the product and process. Stage 1 Process Design: The commercial process is defined during this stage based on knowledge gained through development and scale-up activities. Stage 2 Process Qualification: The Process Design is evaluated to determine if the process is capable of reproducible commercial manufacturing. Stage 3 Continued Process Verification: Ongoing assurance is gained during routine production that the process remains in a state of control.
Guidance describes activities typical in each stage, but in practice, some activities in different stages might overlap.
GEMcNally, FDA, May 6, 2011 13
Stage 2 Stage 1
Process Design
Evaluate/Confirm
Ch an g
Ch
es
an ge s
Stage 3
Distribute
Distribute
14
Learning progression
Good planning, expected path
16
Process Design Process Design that is minimal, incomplete, lacks depth, method and/or rigor is risky business!
17
19
Activities performed to assure proper facility design and that the equipment and utilities are suitable for their intended use and perform properly
Precedes PPQ.
GEMcNally, FDA, May 6, 2011 20
A description of the statistical methods to be used in analyzing all collected data (e.g., statistical metrics defining both intra-batch and inter-batch variability).
GEMcNally, FDA, May 6, 2011 21
23
Commercial Distribution
Decision to commercially distribute product from a given process is the firms decision based on having reached the (pre-determined) high level of assurance. Criteria for high level of assurance is specific to the particular product and process being validated (results of stages 1 & 2) and is judged by the firm. Decision must be deliberate, obvious, and firm takes responsibility for it.
GEMcNally, FDA, May 6, 2011 24
PV Guidance definition
Concurrent Release: Releasing for distribution a lot of finished product, manufactured following a qualification protocol, that meets the [lot release criteria] standards established in the protocol, but before the entire study protocol has been executed.
25
Concurrent Release
Why does this matter? Under normal circumstances, a firms decision to begin to commercially distribute product from a particular process is based on having achieved that high degree of assurance threshold. Unless there are special circumstances (e.g., orphan drugs, short shelf-life radiopharmaceuticals, medically necessary drugs to alleviate short supply) there is no reason to distribute products before that threshold has been reached. In these special circumstances, the benefit of having these drugs available to patients is judged to be greater than the risk of a lower degree of assurance.
GEMcNally, FDA, May 6, 2011 26
Process Variability
In order to detect process drift, normal (common cause) variability has to be understood and measured where possible. Range of input variability a process may encounter in commercial production may not be fully known during the process design stage.
E.g., excipients Laboratory or pilot-scale models that are representative of the commercial process can be used to estimate variability but need to obtain data from commercial manufacturing experience to confirm predictions.
GEMcNally, FDA, May 6, 2011 31
Obtain expertise applying statistical tools and analysis to manufacturing data. Further refine the control strategy.
GEMcNally, FDA, May 6, 2011 32
It met specifications
Conclusions from sampling and testing are probabilistic. Interplay between sample size, process variability, confidence desired and probability. The outcome from conducting a single USP test cannot be assumed for all the untested units in the batch.
GEMcNally, FDA, May 6, 2011 34
35
36
USP 33NF 28 Reissue General Notices 4.10.10. Applicability of Test Procedures 4.10.20. Acceptance Criteria
The acceptance criteria allow for analytical error, for unavoidable variations in manufacturing and compounding, and for deterioration to an extent considered acceptable under practical conditions. ... An official product shall be formulated with the intent to provide 100 percent of the quantity of each ingredient declared on the label.
GEMcNally, FDA, May 6, 2011 37
Manufacturers must determine appropriate sampling and monitoring for their processes. Compendial tests are standards that any compendial drug must meet if tested. By themselves they are not appropriate for process validation studies.
GEMcNally, FDA, May 6, 2011 38
Legacy Products
Manufacturers of legacy products can take advantage of the knowledge gained from the original process development and qualification work as well as manufacturing experience to continually improve their processes. Implementation of the recommendations in this guidance for legacy products and processes would likely begin with the activities described in Stage 3.
GEMcNally, FDA, May 6, 2011 39
40