Title: GMP Oversight Within FDAs Quality InitiativePast, Present, and Future
1GMP Oversight Within FDAs Quality
InitiativePast, Present, and Future
- David J. Horowitz, Esq.
- Deputy Associate Commissioner for Compliance
Policy - Office Of Regulatory Affairs
- FDA/AAPS/ISPE Pharmaceutical Quality Initiatives
Workshop - March 1, 2007
2Overview
- Why FDA launched the GMP Initiative
- Recent progress, whats next, and long term
direction pertaining to inspections and GMPs - Quality Systems
- Manufacturing Science and Technology
- Risk Management
3What Happened?
- In August, 2002, FDA launched a new initiative
Pharmaceutical GMPs for the 21st Century A
Risk-Based Approach. - Called for a systematic re-appraisal of FDAs
approaches to pharmaceutical product quality
regulation. - Involved ORA and all three pharmaceutical product
Centers in FDA
4Why?
- Significant changes had occurred in the
environment for pharmaceutical manufacturing
since the cGMP program was put in place 25 years
earlier. - Challengesthat need to be addressed
- Opportunitiesthat can be realized
5Challenges
- Significant decline in resources for inspections
- Consequences of globalization, including more
foreign manufacturing - Greater complexity associated with manufacturing,
including biotechnology
6Challenges (contd)
- Industry perception that GMP compliance was not
adequately linked to public health protection - FDA concern about the state of industry
compliance and insufficient investment in
manufacturing and quality systems
7Opportunities
- Major advances in manufacturing science and
technology, including PAT - Advances in quality management and
systems-oriented approaches - Advances in Risk Managementfor both industry and
regulators
8Examples of ProgressQuality Systems
- External Quality Systems
- Final Guidancebridging GMP regulations to modern
quality systems - ICH Q10harmonizing quality systems approaches.
9Examples of ProgressQuality Systems
- Internal (FDA) Quality Systems
- Enhanced communication between ORA and the
Centers on pharmaceutical GMP warning letters - Staff Manual Guide on quality systems framework
- Improved communication as a result of
implementing Dispute Resolution Process
10Whats NextQuality Systems
- External
- ICH Q10
- Internal
- Quality systems implementation priorities
- PI, Warning letters, Recalls and enhanced
collaboration between review and inspection - ORA Transformation Initiative
- Imbed quality management systems throughout ORA
- Center collaboration effortswill help
coordinate/harmonize Center/Field perspectives
11Whats NextQuality Systems (contd)
- Longer-Term
- Greater harmonization internationally, across
organizational boundaries, and across product
areas - Enhanced integration of inspection with review
and compliance perspectives
12Examples of ProgressScience Technology
- Creation of FDAs pharmaceutical inspectorate
(PI) - Includes enhanced technical training and
certification - Part 11 guidance
- Aseptic processing guidance
- Investigating OOS Test Results guidance
- Proposed rule and guidance on GMPs for Phase 1
clinical supplies
13Whats NextScience Technology
- Ongoing training and certification for PI
- Part 11 rulemaking/guidance
- Process validation guidance
- Incremental approach to revising Parts 210/211,
considering, as next step, clarification in areas
of low hanging fruit, such as - Potable water
- Aseptic processing
- Asbestos filters
- Verification by second individual
- Increased use and acceptance of PAT
14Whats NextScience Technology (contd)
- Longer-Term
- Greater specialization and expertise
- Enhanced collaboration with foreign regulatory
counterpartsand across organizational boundaries - Inspectional approaches that encourage adoption
of latest scientific and technological
innovations
15Examples of ProgressRisk Management
- ICH Q9, Quality Risk Managementinternationally
harmonized guidance - CDER risk ranking model for prioritizing sites
for manufacturing inspections
16Whats NextRisk Management
- ORA Transformation
- Imbed risk-based approaches in all aspects of ORA
- CVM risk model for pre-and post-approval
inspections - Continual improvement of model for prioritizing
GMP inspections - Data quality enhancement
- Improved incentives to enhance process capability
- Use of risk factors to improve focus of
inspections - Improved dialog based on ICH Q9
17Whats NextRisk Management (contd)
- Longer-Term
- More systematic risk-based approaches relating to
all aspects of GMP inspections - Enhanced science- and data-driven targeting that
will determine more of the inspection frequency
and intensity, as well as FDAs response to the
inspectional findings. - Integration of more risk-based thinking from
review to help focus inspections - More outcome-oriented metrics will be developed
18Moving Ahead
- The same factors that motivated the initiative
continue to drive it forward - We recognized early on that we could not achieve
our goals for the Initiative without active
participation from our key stakeholders. - Although were just getting started in some of
the most important areas, we have a clear vision
and significant momentum in several key areas