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SCMS Product Integrity Issues

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Sildenafil Citrate (VIAGRA ) FDA approval - 1998. Tadalafil (CIALIS ) FDA approval - 2003 ... VIAGRA Summary 'Counterfeit' and unapproved. 3. 1. 30. 59. 72 ... – PowerPoint PPT presentation

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Title: SCMS Product Integrity Issues


1
SCMSProduct Integrity Issues
  • Tom Layloff, Quality Assurance Advisor
  • Supply Chain Management System (SCMS)
  • Providing Quality Medicines for People Living
    with and
  • Affected by HIV and AIDS
  • www.scms.pfscm.org tlayloff_at_pfscm.org
  • The views expressed here are those of the author
    and may not be those of USAID, SCMS, FDA, or MSH.
  • www.layloff.net tom_at_layloff.net

2
Overview
  • Why counterfeit?
  • What kinds of counterfeit products are out there?
  • What technologies are required to detect them?
  • How does SCMS protect its supply chains?
  • How does SCMS plan to assist client sovereign
    states to protect the follow-on supply chains?

3
Why Counterfeit??
4
Whats Out There
  • Two Pharmaceutical Markets
  • Legitimate Market
  • Products registered or formal waiver
  • Routine inspection of imports
  • GMP inspection of local manufacturers
  • Some pedigree control
  • Gray Market
  • Unregistered and no waiver
  • No inspection or oversight
  • Unknown pedigrees

5
Some Counterfeiters Are Sophisticated Business
PeopleReturn on Investment? Repeat business?
  • Minimum Level Investment- One Off Sales -Local
  • Flour in capsules
  • Higher Level Investment- Return Markets -Internet
    Sales-Cross Border Trafficking-International
  • Impure drugs
  • Undeclared therapeutic product substitution
  • Sophisticated relabelers and manufacturers
  • Highest Level Investments- Return Markets
    -Diversions into Legitimate Supply
    Chains-International
  • Designer Unapproved New Drugs
  • Sophisticated relabelers and manufacturers

6
Tiered Analytical Assessments
  • To conserve resources the appropriate
    technologies should be used to perform the
    assessments. Tiered levels should be instituted.
  • In addition to capital costs maintenance costs
    are estimated at 10 of capital costs per year
  • In addition supply costs are estimated at 5-10
    of capital costs per year

7
Level One Product Quality AssessmentsRight Drug?
About Right Amount?
  • Technical Resources
  • Thin Layer Chromatography
  • Colorimetric Tests
  • Near Infrared or Raman Spectroscopy
  • Personnel Qualifications
  • Basic Laboratory Skills
  • Facility Requirements
  • Good ventilation
  • Minimal power requirements
  • Capital Investment
  • Tens of thousands USD

8
Level Two Product Quality AssessmentsComply with
legal standards?
  • Technical Resources
  • Chromatography systems HPLC, GC ,
    TLC-Densitometry
  • Spectroscopic procedures UV-Visible
  • Personnel Qualifications
  • Trained laboratory personnel-GMP levels
  • Facility Requirements
  • Controlled temperature space
  • Stable power required
  • Capital Investment
  • Tens to hundreds of thousands USD

9
Level Three Product Quality Assessment New Drug?
Impurities? Bioavailability?
  • Technical Resources-Forensic Levels
  • Chromatography coupled Mass Spectrometry
  • Near Infrared or Raman Spectroscopy
  • Personnel Qualifications
  • Highly trained personnel
  • Ph.D. with experience
  • Facility Requirements
  • Controlled temperature
  • Stable power supplies
  • Capital Investment
  • Hundreds of thousands to millions USD

10
Overview SCMS Supply Chain Product Integrity
  • SCMS Support for Client Requirements
  • Procurement
  • Contracts
  • Warehousing and Customs
  • Distribution to Client Sites in Sovereign States
  • Central Medical Stores--Most
  • District Level--Few
  • Sovereign States
  • Ministry of Health
  • Regulatory Authority
  • Internal Distribution System
  • Health Care Delivery Workers

11
The Need for Rapid Scale-up
12
What We Buy
  • ARVs (including FDA tentatively approved
    generics)
  • Rapid HIV test kits
  • Laboratory equipment e.g., Enzyme ImmunoAssay
    (EIA), CD4, Nucleic Acid Amplification Testing
    (NAT)
  • Drugs for Opportunistic Infections
  • Drugs for Sexually Transmitted Infections
  • Drugs for home care and palliative care
  • Drugs for Tuberculosis
  • Medical supplies
  • Miscellaneous (e.g., vehicles)

13
SCMS Quality Assurance
  • SCMS has established routine and with-cause
    sampling and testing procedures to pose a
    creditable threat of detection to unscrupulous
    suppliers.
  • Routine sampling is conducted at SCMS Regional
    Distribution Centers
  • With-cause sampling is performed for complaints
    or any deviation in processes.

14
Value of Commodities Delivered
Value of delivered commodities
25,908,823
18,501,044
Dollar value (USD)
7,962,651
4,447,307
3,213,304
Quarter
Definition The dollar value of commodities
delivered to clients.
15
Where We Work
Botswana Côte dIvoire Ethiopia Guyana Haiti Keny
a Mozambique Namibia Nigeria Rwanda South
Africa Tanzania Uganda Vietnam Zambia Zimbabwe
16
Regional Distribution Centers
  • RDC Advantages
  • Efficiency and cost
  • Smaller, regular shipments to protectlocal
    systems
  • Timely, accurate andsafe transport including
    cold/cool chain
  • Delivery of drugs and commodities door-to-door
  • Physical security
  • Chain of custody from supplier to recipient
  • Rapid response to emergency requests

17
Regional Consolidation Centers
  • SCMS is establishing Regional Consolidation
    Centers in India
  • Rapid access to Indian generic products afforded
    by the Tentative FDA-Approval process
  • Inspection and sampling at RCCs prior to
    consolidation and shipping.
  • Chain of custody
  • Controlled packing of shipments at the RCC and
    unloading them at the RDC
  • Customs inspections under SCMS observation
  • Visibility of any in-transit security breaches
    (RFID seals)

18
Beyond the SCMS Supply Chain
  • To protect their sovereign markets the National
    Drug Regulatory Authorities (NDRA) must have in
    place the basic regulatory functions including
    product registration, product and premises
    inspection, product testing, stringent laws and
    regulation for standards enforcement.

19
Registration
  • Defines what products may be legally marketed in
    the country
  • WHO prequalification QA states quality
    assessment is product and manufacturing site
    specific
  • Registration is product, manufacturer, and site
    specific

20
Just Looking Improves the Marketplace
Registered 5.6
Not registered 23.6
  • A Comparison Study of Testing Products Registered
    and Not Registered in Myanmar and Vietnam
    1996?1997 WHO Data

21
Drug Registration Improves Drug Quality
  • Product testing shows that registered products
    (5.6 substandard) are much less likely to be
    substandard than unregistered products (23.6
    substandard).

22
Testing
  • Product testing is the most expensive tool in the
    regulatory process.
  • Product testing is the only way to prove that a
    product is substandard or is counterfeit.
  • Product testing results may be contested in
    courts, so chain-of-custody and rigorous
    adherence to good practices and legal standards
    are essential.

23
2007 WHO Survey of ARVs in Seven African
Countries
  • 394 ARV samples collected from seven African
    countries
  • 1 failed appearance (NPQ)
  • 2 failed labeling (NPQ)
  • 1 failed disintegration (NPQ)
  • 2 failed dissolution (1 NPQ, 1 PQ)
  • 1 failed assay (PQ)
  • 1.8 failure rate with no serious failures
  • 84 of the products were registered in the
    country
  • 60 were WHO pre-qualified
  • No samples were collected from unofficial sources
    or remote sites
  • Non-registered products primarily from the
    private sector

24
Survey Results Ports-of-Entry and Post-Marketing
Surveillance in Tanzania
  • Products not legally imported or marketed were
    rejected or seized and not screened
  • 1,257 samples of the targeted drugs were
    screened ca. 500 per annum
  • 3.7 or 46 of the samples tested failed screening
    tests.
  • 41sulfadoxine-pyrimethamine products failed
    dissolutionall locally manufactured
  • 5 samples failed screening test-wrong drug or
    markedly sub-potent
  • 3 samples of quinine tablets
  • 2 samples of erythromycin tablets.
  • Tanzania
    FDA Data in press

25
Tanzania Pharmaceutical Market Defense
  • TZ surveillance focused on legal products which
    had passed the registration requirements and were
    stored in approved premises
  • Upstream compliance activities registration,
    record inspection and physical examination are
    reflected in improved quality of marketed
    products
  • This overall regulatory activity provides a
    significant deterrent.
  • Therefore legitimate conscientious manufacturers
    and distributors can compete.

26
US FDA Counterfeit Detection Efforts
  • The following five slides concerning detection of
    illegal Erectile Dysfunction (ED) drugs are taken
    from a presentation by the US FDA Forensic
    Chemistry Center in Cincinnati, Ohio.
  • SCMS does not distribute ED drugs and these
    slides are intended only to illustrate the level
    to which some unscrupulous manufacturers will go
    to sell products.

27
Example Erectile Disfunction (ED) Drugs FDA FCC
Materials
  • The three approved products for ED treatment are
  • Sildenafil Citrate (VIAGRA) FDA approval -
    1998
  • Tadalafil (CIALIS) FDA approval
    - 2003
  • Vardenafil HCl (LEVITRA) FDA approval -
    2003

28
VIAGRA Summary Counterfeit and unapproved
FDA FCC Slide
Suspect Counterfeit Products
Unapproved Products
29
Cialis Summary Counterfeit and unapproved
FDA FCC Slide
Suspect Counterfeit Products
Unapproved Products
30
Levitra Summary Counterfeit and unapproved
FDA FCC Slide
Suspect Counterfeit Products
vardenafil polymorph
Unapproved Products
One sample was bulk powder declared as sodium
pyruvate contained 82 pure vardenafil
31
Scope of The Analog Analytical Problem FDA FCC
Data
sildenafil
homosildenafil
32
Analytical Approach at FCC
Sample
Physical Characterization (dimensions, markings,
mass, color)
Supplement/Herbal
Dosage Form
Authentic
Not authentic
LC-MSn
LC-MSn
FTIR
Approved API
Analog
HS GC-MS
LC Assay
ICR FTMS (accurate mass)
Authentic
Not authentic
LC Assay
Complete
LC Estimate
FTIR
33
US FDA Forensic Chemistry Center Summary
  • The presence of ED drugs and numerous analogs is
    widespread among herbal products, supplements and
    dosage forms.
  • Screening procedures that target only approved
    APIs are inadequate.
  • Preliminary results suggest that polymorphs may
    also be a factor for this class of compounds.
  • Those who produce and market these illegal
    products are becoming more clever. Those trying
    to prevent it must adjust accordingly

34
Quality Products in the Marketplace
  • Establish a strong well-publicized regulatory
    posture including enforcement
  • Purchase products which are approved AND marketed
    in ICH or PIC/S countries or WHO prequalified
    products
  • Watch the pedigrees of incoming products

35
Inspection Levels
  • Level One
  • Product and premises compliance to standards
  • Level Two
  • GMP inspection of manufacturers
  • GLP inspection of testing laboratories
  • Level Three
  • Sterile operations
  • Terminal sterilization
  • Sterile filling
  • Lyophilized products

36
Client CountriesTechnical Assistance to
Strengthen National Drug Regulatory Authorities
  • Strengthen level one drug product and premises
    regulation-registration, inspection
  • Strengthen level one assessment technologies
  • Technical assistance to strengthen level two
    assessment technologies
  • Assist in regional coordination of efforts to
    strengthen level three assessment resources
  • Technical assistance to strengthen regional and
    international communications and alerts

37
SCMS Internal Use Form to Report Product Quality
Issues
  • Report immediately issues relating to the
    quality, safety, and/or efficacy of products to
    the SCMS quality team. Your quick reporting will
    help ensure the quality of products procured and
    distributed by SCMS.
  • Access Form on SCMS Intranet to report issues,
    incidents, or complaints relating to product
    quality.

38
Web Based Internal Reporting Form for SCMS Staff
39
(No Transcript)
40
Things to Ponder
  • In a lawless world, the exigencies of
    competition tended to drive commercial practices
    toward the level of the most unscrupulous.
  • James Harvey Young
  • If you have no defense you cant defend
    yourself.
  • Tom Layloff

41
Requirements for Successful Defense
  • Society commitment
  • Political will
  • Financial resources

42
  • Questions?
  • Thank You!!
  • Contacts tlayloff_at_pfscm.org tom_at_layloff.net
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