First draft amendments to the EU GMP-Guideline have been published. More news can be expected over the course of the year. New requirements in Chapter 1 "Pharmaceutical Quality Systems" and Annex 2 "Manufacture of Biological Active Substances and Medicinal Products for Human Use" will enter into force On January 31, 2013.
First draft amendments to the EU GMP-Guideline have been published. More news can be expected over the course of the year. New requirements in Chapter 1 "Pharmaceutical Quality Systems" and Annex 2 "Manufacture of Biological Active Substances and Medicinal Products for Human Use" will enter into force On January 31, 2013.
First draft amendments to the EU GMP-Guideline have been published. More news can be expected over the course of the year. New requirements in Chapter 1 "Pharmaceutical Quality Systems" and Annex 2 "Manufacture of Biological Active Substances and Medicinal Products for Human Use" will enter into force On January 31, 2013.
First draft amendments to the EU GMP-Guideline have been published. More news can be expected over the course of the year. New requirements in Chapter 1 "Pharmaceutical Quality Systems" and Annex 2 "Manufacture of Biological Active Substances and Medicinal Products for Human Use" will enter into force On January 31, 2013.
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Which European Guidelines will change in 2013?
By Thomas Peither
The New Year has barely begun as already the first draft amendments to the EU GMP-Guideline have been published. Furthermore, more news can be expected over the course of the year.
EU GMP Guideline Adopeted Chapters The European GMP-Guideline will be revised continuously. On January 31, the new Chap- ter 1 Pharmaceutical Quality Systems, Chapter 7 Outsourced Activities and Annex 2 Manufacture of Biological Active Substances and Medicinal Products for Human Use will enter into force. Regarding Chapter 1, the life cycle of a product plays an increasingly important role, which must be reflected in the Quality Management System. Additional information was previ- ously published by GMP-Publishing.
The new requirements in Chapter 7 Out- sourced Activities do not only relate to outsourced activities such as manufacturing or analytics but to all outsourced GMP regulated activities, e.g. environmental monitoring. At the same time a Qualified Person has to be involved, as this is not only a matter of contracts but also of change control systems used by a contractor and the examination for suitability and competence of a contractor. That way the particular responsibility of a contractor regarding the quality system cannot be evaded.
It has to be emphasized for Annex 2, that the requirements therein have to be seen in connection with Part II (active pharmaceuti- cal ingredients). Complaints, Quality Defects and Prod- uct-Recalls The proposed changes to Chapter 8 of the EU GMP-Guideline Part I were published on January 17, 2013. It involves requirements in the field of Personnel and organization Procedures for dealing with quality defects Investigations, root cause analyses and corrective actions The deadline for responses to this consulta- tion paper is July 19, 2013. Premises and Equipment The proposed amendments to Chapter 3 have already been published on January 17, 2013 (end of consultation: July 18, 2013). In this regard, the recently published Draft Guideline of the Safety Working Party (SWP) entitled Guideline on setting health based exposure limits for use of different drug products in shared facilities has to be seen, too. It applies to human medicinal products as well as to veterinary medicinal products.
A substantial change can be seen in connec- tion with Chapter 5 Production which relates to the prevention of cross- contamination and toxicological assess- ments. Quality Control The draft amendment of Chapter 6, Part I, was published on January 17, 2013 as well (end of consultation: July 18, 2013). New requirements on technical transfer of testing methods but also other items such as laboratory reagents, media, etc. are modi- fied.
Clinical Samples Technology Transfer Commercial Manufacturing Decommissioning LOGFILE Nr. 4 / January 2013 Maas & Peither AG GMP Publishing
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Production The following proposals for modification to Chapter 5 Production are of special inter- est: Cross-contamination Toxicological assessments Qualification of suppliers GMP-conformity of active substances Supply chain traceability Testing of starting materials These changes have to be seen in context with the SWP Draft Guideline, as well. Expected Consultations It is expected that there will be changes to Annex 16 Certification by a qualified per- son and batch release over the course of the year. The focus will be on: Detailed requirements on QPs Reliance on GMP-confirmation of third parties Unplanned deviations Annex 17 Parametric Release should be improved as well by formulating a more explicit applicability of Annex 17. In addition to terminally sterilized products it is planned to include biological drugs, APIs und inter- mediates in its scope. Annex 15 Qualification and Validation will be revised, too, due to the numerous changes within the EU-Regulations since 2001 that have essentially influenced process validation and system qualification. Current- ly Annex 15 is improved by a working group with members of Great Britain, Germany, Ireland, Italy, Portugal and the PIC/S. This composition already indicates that the revision is carried out jointly with the PIC/S. A draft of a revised version of Annex 15 is expected to be published by the end of 2013. Import of Active Pharmaceutical Ingredients (APIs) to the EU The requirements for the import of APIs changed last year. Starting in July 2, 2013 all APIs imported to the EU have to be pro- duced according to European GMP stand- ards. This has to be confirmed by a certifi- cate of the respective regulatory authority.
Excipients Up to the present excipients are only regu- lated to a comparatively limited extent. However, it is planned to compile a Guide- line for Risk Evaluation within Europe. Since the amendment to Directive 2001/83/EC Article 46 (f) has already made a statement to the risk assessment of excipients, the associated guideline is keenly awaited. Currently the guideline is being developed by the EMA GMDP Inspectors Working Group, with participation of the authorities of Great Britain, Denmark and Hungary. At present the working title is Risk Assess- ment/Risk Management Guideline to Estab- lish Appropriate GMP for Excipients Used in the Manufacture of Medicinal Products for Human Use. Right now, the guideline is expected to be with the European Commission for further review. A consultation date is not yet known. Good Distribution Practice (GDP) Industry is still waiting for the publication of the final GDP-Guideline. The last confer- ences did not give clarity on any actual time frame. Meanwhile it has come to be known that there will be another Guideline to Princi- ples of GDP for Active Substances. It is based either on requirements according to ICHQ7 or to Part II of the EU GMP-Guideline. A review by the European Commission is expected in the near future. Conclusion In 2013 the regulatory authorities will con- tinue to improve the GMP-regulations and will further work on bringing them into line with the current requirements. The EU GMP- Guideline will change in Chapters 1, 3, 5, 6, 7 and 8. A revision is planned for Annex 15, 16 and 17. Moreover, we are soon expecting the new GDP-Guideline and Guidelines for excipients.
LOGFILE Nr. 4 / January 2013 Maas & Peither AG GMP Publishing
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Source / Literature Mortensen, Claus; Risk Assessment for Excip- ients; Danish Health and Medicines Authori- ty; PDA/EMA Joint Conference 4-5 Dec 2012 Gray, Norman; Revision to Annex 15 Qualifi- cation & Validation, PDA/EMA Joint Confer- ence 4-5 Dec 2012 Cockburn, David; GMP/GDP Inspectors Work- ing Group Work Plan and EudraGMP Up- date; EMA; PDA/EMA Joint Conference 4-5 Dec 2012
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