Dgda - Directorate General of Drug Adminstration
Dgda - Directorate General of Drug Adminstration
Dgda - Directorate General of Drug Adminstration
OF DRUG ADMINSTRATION
(DGDA)
This document provides instructions to applicants intending to submit applications for the registration of
medicines. These guidelines are governed by the Directorate General of Drug Administration’s (DGDA) current
thinking on safety, quality, and efficacy of medicines. The DGDA reserves the right to request additional
information to establish the safety, quality, and efficacy of a medicine in keeping with current knowledge at the
time of the evaluation of a medicine. The DGDA is committed to ensuring that all registered medicines are of
the required quality, safety, and efficacy. It is important that applicants adhere to the quality requirements in this
module to avoid delays in the processing and evaluation of applications.
Message from the Director General, Directorate General of Drug Administration ...... iii
Acronyms ...................................................................................................................iv
Module 2 Quality Overall Summary ............................................................................ 1
Module 2.1 Table of Contents .................................................................................... 1
Module 2.2 Background of the Quality Overall Summary ........................................... 2
Module 2.3 Body of Data of Quality Overall Summary ............................................... 5
Module 3 Quality ...................................................................................................... 10
Module 3.1 Table of Contents .................................................................................. 10
Module 3.2 Body of Data .......................................................................................... 11
Module 3.3 Literature References ............................................................................ 38
References ............................................................................................................... 39
ii
MESSAGE FROM THE DIRECTOR GENERAL, DIRECTORATE GENERAL OF
DRUG ADMINISTRATION
It is hoped that the CTD will be adopted on a pilot basis within six months. Thanks
are offered to all members of the Taskforce Team and the SIAPS team for their
continuous support for the implementation of the CTD.
iii
ACRONYMS
iv
MODULE 2 QUALITY OVERALL SUMMARY
1
MODULE 2.2 BACKGROUND OF THE QUALITY OVERALL SUMMARY
The Quality Overall Summary (QOS) is a summary that follows the scope and the
outline of the Body of Data in module 3 (Quality) of the dossier, which contains the
chemical, pharmaceutical, and biological data relevant to the application. The QOS
should contain the summary data of what is already provided in module 3 or in
other parts of the Common Technical Document (CTD). The QOS should include
sufficient information from each section of module 3 to provide the quality reviewer
with an overview of the quality of the product. The QOS should also emphasize
critical key parameters of the medicine and provide, for instance, justification in
cases where guidelines were not followed. The QOS should include a discussion
of key issues that integrate information from sections in module 3 and supporting
information from other modules, including cross-referencing to volume(s) and page
number(s) in other module(s).
This QOS should normally not exceed 40 pages of text, excluding tables and
figures. For biotech products and products manufactured using more complex
processes, the document may be longer, but normally should not exceed 80 pages
of text, excluding tables and figures. For a sample template of the QOS, refer to
WHO Quality Overall Summary - Product Dossier (QOS-PD), 2014-12-11.1
The Bangladesh CTD guidelines are intended to be used along with other
International Conference on Harmonisation of Technical Requirements for
Registration of Pharmaceuticals for Human Use (ICH) requirements for the
registration of pharmaceuticals for human use. For general information about the
CTD, as well as specific information about module 1, see the Guideline for the
1
http://apps.who.int/prequal/ (go to A-Z Listings of Documents).
2
Module 2.2 Background of the Quality Overall Summary
The CTD guidelines, together with the other DGDA guidelines available on its
website, provide detailed information about the contents of an application. These
guidelines apply to applications to register medicines and all related variations.
Applicants should not modify the overall organization of the CTD. If not contained in
the bulk of the documentation, any additional data should be included as addenda to
the relevant part, together with additional expert comment that may be provided as a
supplement to, or incorporated into, the relevant summary, overall summary, or
overview.
Module 2 of the CTD dossier contains the summaries and overviews for the quality,
nonclinical, and clinical sections of the dossier (refer to ICH guidelines M4Q, M4S,
and M4E).2 The module begins with a general introduction to the medicine, including
its pharmacological class, mode of action, and proposed clinical use. The summary
of quality information should be provided according to the World Health
Organization’s (WHO) Quality Overall Summary–product dossier (QOS-PD)
template.
Module 3 - Quality
Module 3 of the dossier contains the chemical, pharmaceutical, and biological data
relevant to the application. This information should be structured as described in the
Bangladesh CTD Module 2 (Quality Overall Summary) and 3 (Quality) guidelines.
Also, refer to the ICH Guidelines M4Q (M4Q (R1): QUALITY Module 2: Quality
Overall Summary (QOS) and Module 3: Quality.3
2
http://www.ich.org/products/ctd.html.
3
http://www.ich.org/products/guidelines/quality/article/quality-guidelines.html.
3
CTD General Guidelines Module 2
Module 5 of the dossier contains the clinical data relevant to the application. In
most circumstances, the clinical studies included in module 5 of the dossier will be
international studies used to establish the pharmacodynamics, pharmacokinetics,
safety, and efficacy of the medicine across an international patient population.
However, where there is evidence to suggest that the pharmacokinetics or
pharmacodynamics of the product may vary across the populations that will use the
medicine in Bangladesh, the applicant should consider submitting studies relevant
to those target populations. These reports should be presented in the order
described in the Bangladesh CTD Module 2 (Clinical Overview), Guideline for Good
Clinical Practice (GCP) for Trials on Pharmaceutical Products, Bangladesh:
Annexure 3, and CTD Module 5 (Bioequivalence Studies) guidelines. Also, refer to
the ICH guidelines M4E (M4E (R1): Efficacy and Module 2: Clinical Overview and
Clinical Summary Module 5 Clinical Study Reports.2
4
MODULE 2.3 BODY OF DATA OF QUALITY OVERALL SUMMARY
When the API is chiral, please specify whether specific stereoisomers or a mixture of
stereoisomers were used in the nonclinical and clinical studies. Information should
5
CTD General Guidelines Module 2
also be given as to the stereoisomer of the API that is to be used in the final product
intended for marketing.
For Biotech:
The QOS should summarize the data on potential and actual impurities arising from
the synthesis, manufacture, and/or degradation, and should summarize the basis for
setting the acceptance criteria for individual and total impurities. The QOS should
also summarize the impurity levels in batches of the API used in the nonclinical
studies, in the clinical trials, and in typical batches manufactured by the proposed
commercial process. The QOS should state how the proposed impurity limits are
qualified.
A brief summary of the justification for the specifications, the analytical procedures,
and validation should be included.
A tabulated summary of the batch analyses from section 3.2.S.4.4 of module 3, with
graphic representation, where appropriate, should be imported directly to this
section.
A brief description and discussion of the information from section 3.2.S.6 of module 3
should be included.
6
Module 2.3 Body of Data of Quality Overall Summary
A tabulated summary of the stability results from section 3.2.S.7.3 of module 3, with
graphic representation, where appropriate, should be imported directly to this
section.
Note: A separate section 2.3.S should be provided for each API. For example, for a
second substance, the sections would be labeled 2.3.S [name 2, manufacturer]. For
a substance coming from another manufacturer, the sections would be labeled 2.3.S
[name, manufacturer 2].
The description and composition of the pharmaceutical product from section 3.2.P.1
of module 3 should be imported directly to this section.
A discussion of the information and data from section 3.2.P.2 of module 3 should be
presented. A tabulated summary of the composition of the formulations used in
clinical trials and a presentation of dissolution profiles should be imported directly to
this section, where relevant.
7
CTD General Guidelines Module 2
A brief summary of the justification for the specifications, a summary of the analytical
procedures and validation, and characterization of impurities should be provided.
8
Module 2.3 Body of Data of Quality Overall Summary
Note: A separate section 2.3.P should be provided for each dosage form. For
example, for a second dosage form, the sections would be labeled 2.3.P [name,
dosage form 2].
2.3.A Appendices
For Biotech:
A tabulated summary of the reduction factors for viral clearance from Appendix
3.2.A.2 of module 3, Adventitious Agents Safety Evaluation section of module 3,
should be imported directly to this section.
9
MODULE 3 QUALITY
10
MODULE 3.2 BODY OF DATA
Neither the complete nor the open part of the drug master file (DMF) should be sent
directly to the DGDA.
The information should be submitted in the dossier under the headings provided
below.
The documentation must comply with the WHO Good Manufacturing Practices4 that
has been adopted by the DGDA.
For a mixture of API(s) or API(s) with inactive pharmaceutical ingredients (IPI), the
blending of the ingredients is considered as the first step in the manufacture of the
final product, and therefore does not fall under the definition of an API even though it
may take place in a different facility. The resultant mixture, or partially completed
final product (e.g., coated or uncoated granules) is regarded as a finished
pharmaceutical product (FPP) intermediate.
The only exceptions can be made where the API cannot exist on its own, for
example, due to insufficient stability without a stabilizing agent.
The mixing of the API with an IPI or another API therefore forms part of the
manufacturing procedure for the final product, which is addressed in section 3.2.P.3
of module 3, while the API(s) used in such mixtures should be included in section
3.2.S of module 3, according to the requirements of sections 3.2.S.1 to 3.2.S.7 and
3.2.R.6 of module 3. The formulation, API, and IPI specifications and control
procedures, packaging materials, stability, and pharmaceutical development of the
FPP intermediate are addressed in sections 3.2.P.3, 3.2.S.2, 3.2.P.4, 3.2.P.7,
3.2.P.8, and 3.2.P.2, respectively, in accordance with the requirements of the
relevant sections.
In case of blood fractions, a Plasma Master File should be included in the dossier, if
applicable.
11
CTD General Guidelines Module 3
Those sections that are relevant to the FPP manufacturer in terms of testing
of the API (e.g., section 3.2.S.4).
The physical and chemical properties of the API, including, for example, solubility,
particle size, and hygroscopicity, should be indicated.
The solubility of each API should be specified in terms of a unit part of the substance
per number of parts of the solvent, or in unit mass of substance in a given volume of
solvent, at a specific temperature. The solvents should include water and the
solvent(s) relevant to the product formulation.
If the API has a low solubility in water in accordance with the Biopharmaceutical
Classification System (BCS) definition, the solubility should be quantified (mg/ml).
For a multisource product, the API must be identical in structure and stereochemistry
to the API used as the reference product (pharmacopoeia structure).
The name, business, and physical address of each manufacturer of the API being
applied (including any intermediate manufacturer) should be provided.
No API from any manufacturer, other than the approved manufacturer(s), may be
used.
12
Module 3.2 Body of Data
A short description of the synthesis and a flow chart that includes: the structures and
stereochemistry of starting materials and intermediates; reagents, catalysts,
solvents, isolation, and purification; and any other relevant aspects. Note that
specifications and control procedures for substances used in this process are not
generally required. (The specific processes carried out by any intermediate
manufacturer should be identified.)
Other relevant aspects, for example, preparation of sterile material (full description of
aseptic or sterilization process, including conditions), should be included or if there is
no further sterilization of the FPP.
2. In the case of biological medicines produced using the cell bank or seed lot
system, the history (origin and sources) and preparation of the seed lot and/or
cell lines should be described with specific reference to the tests that are
carried out on such a seed lot or cell bank to establish and maintain the
integrity. Refer to the European Medicines Agency (EMA)6 and or the
applicable guideline of the WHO Technical Report Series: biological products:
general recommendations.
3. Particulars of the composition of all culture media used in the preparation and
testing of a biological medicine should be given. All raw materials of animal or
human origin must be specified as well as suppliers (indicating the country of
origin) and the certificate of analysis (CoA).
4. Particulars should be given of the other biological source material from which
a biological medicine (e.g., blood fractions) is extracted, including the origin of
the culture or blood.
5
http://www.ich.org/products/guidelines/quality/article/quality-guidelines.html.
6
http://www.ema.europa.eu/ema/index.jsp?curl=pages/regulation/general/general_content_000082.jsp&mid=
WC0b01ac0580027547.
13
CTD General Guidelines Module 3
Submit information relevant for the FPP manufacturer (e.g., sterile material).
Critical Steps: Tests and acceptance criteria (with justification, including experimental
data) performed at critical steps identified in section 3.2.S.2.2 above on the
manufacturing process to ensure that the process is controlled should be provided.
Provide full validation data on the aseptic processing and sterilization process, where
there is no further sterilization of the FPP.
14
Module 3.2 Body of Data
Include the API manufacturer’s and FPP manufacturer’s (if different) specifications of
the API in tabulated format, not narrative. Indicate clearly if these specifications are
the same.
Specifications and the control procedures for the particle size of APIs that have a low
solubility in water in accordance with the BCS definition and for those which the
DGDA may request should be submitted, and the solubility quantified, unless
justified. Particle size should be given in International Systems of Units (SI).
Exemption from this requirement may be granted if the API is administered as a clear
solution.
Include detailed methods used for quality testing (identification, assay, determination
of related substances, residual solvents, etc.), including chromatograms for the API
manufacturer and FPP manufacturer (if different). When pharmacopoeia methods
are used, these should be current and may be referred to.
Include validation reports, where relevant. In-house methods require full validation.
Pharmacopoeia methods require system suitability and linearity, where applicable.
For NCEs, extensive batch analysis is required; also for batches used in clinical
studies.
Submit valid CoAs from the API manufacturer relating to at least two batches for
NCEs and generics.
Full justification is required for in-house standards claimed. For details refer to ICH
Q6A.3
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CTD General Guidelines Module 3
For NCEs and well-known non-compendial APIs, at least the following information on
the primary reference standard should be provided:
For non-functional secondary packaging components (e.g., those that do not provide
additional protection) only a brief description should be provided. For functional
secondary packaging components, additional information should be provided.
The suitability should be discussed with respect to, for example, choice of materials,
protection from moisture and light, compatibility of the construction materials with the
API, including absorption to container and leaching, and/or safety of materials of
construction.
The storage requirements for the API, as specified by the manufacturer of the API
and/or prescribed in the pharmacopoeia or acceptable standard reference, should be
specified, and a description of the API container closure system should be included.
7
http://apps.who.int/prequal/info_general/documents/TRS953/TRS_953-Annex3.pdf.
16
Module 3.2 Body of Data
The post-approval stability protocol and stability commitment should be provided. For
more details, please refer to the ICH guidelines Q1A and Q5C.
1. Include results of stability studies performed on the API obtained by the route
of synthesis described in section 3.2.S.2.2 when stored in the proposed
container closure system.
2. Provide the conditions under which degradation products are formed (stress
testing).
6. For biological medicines, stability of the primary production lot and all
intermediates (if not used immediately) should be provided.
1. The formulation should show the INN or approved names, generic, and/or
chemical names of all APIs, and polymorph (if relevant), and approved names
of IPIs, including those that do not remain in the final product after
17
CTD General Guidelines Module 3
manufacturing, for example, granulating agents and gases used for flushing.
IPIs not present in the final product should be indicated.
2. The name and the quantity of the API and the name and quantity provided
under “Composition” in the package insert and patient information leaflet (PIL)
should correspond. The name and quantity of the API per dosage unit should
also correspond to the final product specifications.
4. Each pharmaceutical ingredient should be listed with its quantity per dosage
unit. This would include the vehicle(s), solvent(s), or base(s) (excluding
quantities of coating solvents). In the absence of an approved name (INN) or
chemical name, a chemical description or characterization of the substance
should be given. If so required and relevant, the proprietary name of the IPI
may be included in addition to the approved name.
18
Module 3.2 Body of Data
The grade of IPIs, also when a pharmacopoeia monograph covers more than
one grade (e.g., viscosity of methyl cellulose), and the type of water (e.g.,
purified, water for injection), where relevant, should be indicated.
The use of IPIs that are not described in official pharmacopoeia is strongly
discouraged and should be justified. This includes flavorant, fragrance,
colorant, and ink.
5. The purpose of each IPI should be briefly described. If the IPI is used for
multiple purposes in the formulation, each purpose should be mentioned.
The name of each API and IPI should correspond and the quantities correlate
with those reflected in the batch formulation submitted in section 3.2.P.3.2 of
module 3, and the batch manufacturing record submitted or made available
for inspection.
6. Some IPIs are single chemical entities, while others are combinations. Some
are chemically transformed (e.g., modified starch). For excipients that are
mixtures of chemically related or unrelated components, for example, polyol
esters (mixture of mono, di, and tri esters), direct compression excipients,
solutions, or film coating formulations, or excipients that are chemically
modified, the nature and quantity of each such excipient should be specified.
7. Any overages for the API should be given separately. The label claim quantity
should be provided and the excess quantity indicated as the actual quantity or
as a percentage. For example, 500 mg + 5 mg (= 1 %) overage.* (*Use the
asterisk to indicate the justification for the overage.)
The reason for the overage should be indicated/justified, for example, with
reference to batch results, in section 3.2.P.2.2.2 of module 3.
8. If a potency adjustment for the API has to be made, a statement to the effect
that the actual quantity of the API will depend on the potency and the IPI(s)
that will be used to adjust the bulk quantity should be made. The manner in
which the adjustment will be made should also be specified.
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CTD General Guidelines Module 3
9. Permitted flavoring and coloring agents (that comply with directives of the
European Union [EU] or the register of the US Food and Drug Administration
[USFDA]), in many instances because of their complexity, may be described
in terms of their main constituents only, provided that a conclusive
identification is given in the relevant section.
The use of dyes, printing ink, coating materials, flavorants, and organic
solvents is subject to the same safety and quality requirements that apply to
medicinal substances.
10. The content of alcohol, if included in medicines for oral administration, should
comply with the requirements of the Alcohol Content of Medicines guideline
(EMA or USFDA guidelines).
11. If a vehicle is added up to the required volume or mass of the product, the
actual or estimated quantity of that vehicle may be indicated. Expressions
such as “add up to” and “q.s.” are acceptable. Solutions added to adjust the
pH should be described in terms of composition and strength (e.g., normality,
molarity), but it is not necessary to state the actual quantity added as none or
only minute quantities may be required.
12. In the case of capsules, the fill mass as well as the capsule size, composition,
and mass should be indicated.
13. The theoretical mass should be indicated for uncoated tablets. In the case of
coated dosage forms, the theoretical mass of the core, coating material, as
well as the total mass of the dosage form/unit should be indicated and the IPIs
used for each should be grouped separately.
14. For biological medicines, the details of any solution supplied by the
manufacturer for the reconstitution before use of a dried biological medicine
that is offered for sale in a dried form should be supplied.
15. Toxicity levels per dosage unit should be indicated for all solvents and for
other ingredients when required by the DGDA. Levels should be indicated as
per the most recent edition of The Complete Drug Reference by United States
Pharmacopoeia or other related document.
20
Module 3.2 Body of Data
8
http://apps.who.int/medicinedocs/en/d/Js19979en/.
21
CTD General Guidelines Module 3
o Functional scoring:
Provide data from a study on the uniformity of dosage units of the tablet
halves in terms of United States Pharmacopoeia (USP) or European
Pharmacopoeia (Ph Eur)/British Pharmacopoeia (BP)
recommendations. The data generated should support and be in line
with the dosage and directions outlined in the PI/PIL.
o Non-functional scoring:
Pre-formulation testing;
Clinical trial formulations;
Discussion or explanation of novel formulations and novel IPI composition,
function, and safety;
22
Module 3.2 Body of Data
Parameters relevant to the performance of the final product, such as pH, ionic
strength, dissolution, redispersion, reconstitution, particle size distribution,
aggregation, polymorphism, rheological properties, biological activity or
potency, and/or immunological activity, should be addressed.
Show that no precipitation will occur with poorly soluble APIs formulated at a
non-physiological pH or formulated with co-solvents.
The suitability of the container closure system described in 3.2.P.7 used for storage,
transportation (shipping), and use of the final product should be discussed. This
discussion should consider, for example: choice of materials; protection from
moisture and light; compatibility of the construction materials with the dosage form
(including sorption to container and leaching, injections with rubber closures); safety
of construction materials; and performance, such as reproducibility of the dose
23
CTD General Guidelines Module 3
delivery from the device when presented as part of the FPP product (e.g.,
inhalers/aerosols).
For sterile products, the integrity of the container closure system to prevent microbial
contamination should be addressed, as well as in-use stability testing, whether there
is a preservative or not, including eye drops. Also see 3.2.P.8.
Reconstitution diluent(s);
IV solutions: provide data or reference to primary references;
Dosage devices (e.g., precipitation of API in solution; sorption on injection
administration sets; adsorption by in-line filters) should be addressed to
provide appropriate and supportive information for the labeling.
The batch manufacturing formulation, also for FPP intermediates, and the batch
size(s) (number of dosage units) should be included. If more than one batch size is
indicated, the batch formulation for each of the batch sizes should be given.
24
Module 3.2 Body of Data
For sterile manufacturing, the grades of clean areas should also be indicated.
For sterile manufacturing, the grades of clean areas should also be indicated.
25
CTD General Guidelines Module 3
The validation of the maximum holding time of the final product before packaging,
and the holding time of FPP intermediates before further processing should also be
addressed. The conditions during storage and/or shipping should be covered.
If the validation has already been done, it should be indicated as such in the
application, and the VP and VR have to be submitted.
The approved name of each ingredient should concur with that reflected in the
formulation in section 3.2.P.1.
1. Specifications (titles and the limits) of all the IPIs and also the IPIs of FPP
intermediates, should be listed. Adherence to current pharmacopoeia
requirements (BP, USP, and Ph Eur), where applicable, is recommended, in
which case it is not necessary to list specifications. Any deviation from such
specifications should be fully substantiated (e.g., non-inclusion of a specific
impurity specification due to a different route of synthesis).
26
Module 3.2 Body of Data
More than one pharmacopoeia may be used for the IPIs provided that each
individual reference is used fully, and not partially or selectively. For example:
the USP may be used for starch and the BP for lactose;
an individual IPI may be referenced fully in two or more recognized
pharmacopoeia simultaneously;
an in-house specification consisting of all parameters and that includes the
most stringent criteria of acceptance of two or more recognized
pharmacopoeia.
3. Colorants and flavorants should comply with either one of the following:
4. Microbial limits and control procedures for all organic ingredients of natural
origin should be included (e.g., maize starch is an organic IPI of natural origin
[test], but selenium dioxide is an inorganic IPI of natural origin [no test]).
6. The absence of diethylene glycol should be specified for propylene glycol and
glycerine if the dosage form is for oral or parenteral administration.
27
CTD General Guidelines Module 3
Control procedures for all IPIs should be fully described. These should include
physicochemical tests, purity tests, solubility and assay, and any other relevant tests.
When pharmacopoeia methods are used, they should be current and may be
referred to.
For excipients(s) used for the first time in a FPP or by a new route of administration,
full details of manufacture, characterization, and controls, with cross-references to
supporting safety data (non-clinical and/or clinical) should be provided according to
the API format. (Details may be found in section 3.2.A.3.)
9
http://www.ich.org/products/guidelines/quality/article/quality-guidelines.html.
28
Module 3.2 Body of Data
1. Specifications (titles and limits) should be listed for in-process controls, FPP
intermediate controls, final product controls (batch release), stability controls,
and the reconstituted or diluted final product (if applicable). (If the in-process
controls are submitted in section 3.2.P.3.3 of module 3, a cross reference will
suffice.) In-process controls should be clearly identified as such, including
those performed on bulk (e.g., liquids and semi-solids prior to packaging).
If a product is included in a recognized pharmacopoeia, any deviation from the
relevant monograph should be justified.
2. The description of the final product and the description given under
“Identification” in the package insert should correspond. The description
should be such that visual identification of counterfeit medicines is facilitated,
where possible.
The limits and acceptance criteria for each parameter (physical, chemical, and
microbial, if applicable) should be fully described. To state ''complies'' for
acceptance criteria is not acceptable.
4. At least the following physical and other properties additional to those listed in
the Stability Guideline, should be specified, as appropriate, for the dosage
form, unless the omission is justified:
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CTD General Guidelines Module 3
For soft gelatin capsules containing oily liquid, peroxide value /acid value/
iodine value and any other appropriate parameter, suspension content
uniformity of each should be provided.
Alcohol content, tonicity (eye and nasal preparations), fill volume or mass,
deliverable volume. Peroxide value/acid value/iodine value and any other
appropriate parameter for oily preparations should be included
d) Ointments, creams
e) Parenterals
Assay/Content
5. The limits of acceptance for the content of each active ingredient should be
expressed as a percentage of the label claim. Limits greater than 5.0 % of the
label claim should be justified, except in the case of vitamins.
30
Module 3.2 Body of Data
the uniformity has been harmonized in the ICH region (see ICH guideline Q4B
Annex 6).10
Also refer to the WHO Technical Report Series 929, “Guidelines for the
Registration of Fixed-dose Combination Medicinal Products” (2005) or the
most recent revision.
7. Batch release and stability specifications for all solid oral dosage forms,
including chewable tablets and suspensions, where applicable, should include
a requirement for the dissolution of the API(s) (generally single point for
immediate release, multipoint for modified release), unless otherwise
determined by the DGDA.
8. Disintegration time, where relevant, for example, for chew tablets, matrix
tablets, and soft gelatin capsules, should be determined on all batches on
which dissolution is not determined as a requirement for lot release as well as
for stability. Disintegration time may be used as a lot release requirement for
preparations containing multivitamins and minerals, unless a dissolution
requirement for a specific product is included in the USP, in which case
dissolution should be done as a lot release requirement.
Preservative Efficacy
Endotoxins
10. For a product from a non-biological origin that has endotoxin levels, the
validation data, as required by the USP/BP/Ph Eur, should be submitted.
11. If the endotoxin levels are not determined according to the method in a
recognized pharmacopoeia, the validation data should be submitted for
evaluation.
10
http://www.ich.org/fileadmin/Public_Web_Site/ICH_Products/Guidelines/Quality/Q4B/Q4B_Annex_6_Step_
4.pdf.
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CTD General Guidelines Module 3
1. The full validation data of the assay method of the API related to batch
release should be submitted. Chromatograms confirming the separation of the
API from the degradation products, if relevant, should be included.
2. It should be demonstrated that the assay method is stability-indicating, i.e., it
should distinguish between the API(s) and the degradation product(s).
3. If the assay method used to determine the API content is not stability-
indicating, it cannot be used for assaying after importation.
5. If an assay method different from the batch release method is used for
stability testing, the validation of the assay method and a full description
thereof should be submitted.
1. Complete batch analysis data for at least two batches (pilot or production)
of the final product should be submitted with the application.
2. For imported products, at least the identification and assay of the API
content should be performed by an approved laboratory (Finished Product
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Module 3.2 Body of Data
Release Control [FPRC]) after importation. This is to verify that the product
has not been affected adversely during transport.
1. The immediate container specifications (titles and limits), including the nature
of the material, dimensions, and sketches, where applicable, as well as those
of patient ready packs, the closure system, wadding, and any other
component in direct contact with the product, where applicable, and a
description of the control procedures, should be supplied.
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CTD General Guidelines Module 3
3. A brief description of the outer container, if any, should also be given. At least
the nature of the material should be mentioned (e.g., outer cardboard carton).
4. The description of the container and that reflected in the package insert under
“Presentation” and in the stability studies should correspond. To facilitate the
visual identification of counterfeit medicines (also by the public), the
description should include the type, color, and clarity of the container (e.g.,
clear plastic/silver aluminum blister).
5. If the product is packed in bulk containers, the type of material of the container
should be described.
The maximum period that the product may be stored (bulk) before final
packaging should be given in section 3.2.P.3.3 of module 3. The nature of the
container should be given in section 3.2.P.7 of module 3, with supporting data
provided in section 3.2.P.8 of module 3.
A tabulated summary of the data, clearly indicating the number and types /sizes
(production, pilot, or experimental) of batches, packaging material, storage
34
Module 3.2 Body of Data
conditions and storage period, and manufacturer of the API with API batch numbers,
should be included for each final product manufacturer.
All applications for registration of a medicine should be submitted with stability data,
in accordance with the minimum requirements given in the Stability guideline.
3.2.A Appendices
For Biotech:
35
CTD General Guidelines Module 3
Detailed information from viral safety evaluation studies should be provided in this
section.
Viral evaluation studies should demonstrate that the materials used in production are
considered safe, and that the approaches used to test, evaluate, and eliminate the
potential risks during manufacturing are suitable. The applicant should refer to ICH
guidelines Q5A, Q5D, and Q6B for more details.
The selection of virological tests that are conducted during manufacturing (e.g., cell
substrate, unprocessed bulk, or postviral clearance testing), should be justified. The
type of test, sensitivity, and specificity of the test, if applicable, and frequency of
testing should be included. Test results to confirm, at an appropriate stage of
manufacture, that the product is free from viral contamination should be provided.
(See related information in sections 3.2.S.2.4 and 3.2.P.3.4.) In accordance with ICH
guidelines Q5A and Q6B, results for viral testing of unprocessed bulk should be
included.
In accordance with ICH guideline Q5A, the rationale and action plan for
assessing viral clearance and the results and evaluation of the viral clearance
studies should be provided. Data may include those that demonstrate the validity
of the scaled-down model compared to the commercial scale process, the
adequacy of viral inactivation or removal procedures for manufacturing
equipment and materials, and manufacturing steps that are capable of removing
or inactivating viruses. (See related information in sections 3.2.S.2.5 and
3.2.P.3.5.) For details, refer to the ICH guidelines Q5A, Q5D, and Q6B.
36
Module 3.2 Body of Data
For excipients(s) used for the first time in a FPP or by new route of administration,
full details of manufacture, characterization and controls, with cross-references to
supporting safety data (non-clinical and/or clinical) should be provided according to
the API format.
37
MODULE 3.3 LITERATURE REFERENCES
38
REFERENCES
39