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REGULATORY ASPECT OF
PHARMACEUTICAL CHANGE
   CONTROL SYSTEM




            PRESENTED BY
          DEVESH SHARMA
           M.PHARM (DRA)
    devesh.m.pharmdra@gmail.com
CHANGE CONTROL

 A process that ensures that changes to materials,
  methods, equipment and software are properly
  documented, validated, approved and traceable.
 The process includes evaluation to determine
  whether validation is required and the level of
  validation required.
BENEFITS OF CHANGE CONTROL
SYSTEM
 Careful planning helps to ensure that the change
  process is started and managed by the right people
  at the right time
 Planned change management allows you to include
  specific tasks and events that are appropriate for
  each stage in the change process
 Change management ensures that customers,
  suppliers and other stakeholders understand and
  support the change
 Change control reduces disruptive aspects and
  emphasizes positive opportunities in the change
  process
 Change control allows easy tracking of changes
  and compliance to FDA regulations.
Applying these steps, the system can be
  designed for managing the configuration
  and controlling the change, and then the
  necessary procedures and forms can be
  prepared. It is important that the system
  design come first. Specifically:
 Identify the change to be made
 Accumulate and review the baseline
  documentation, including drawings,
  procedures, P&IDs, equipment data sheets
  and MOC forms.
MANAGEMENT OF CHANGE AND
CONTINUOUS IMPROVEMENT
    Changes to process, equipment, procedures, technology,
    material and organization are necessary for continuous
    improvement and a MOC system must also be
    continuously improved. The process requires eight basic
    steps:

   Identification
   Documentation review
   Change proposal
   Change classification
   Implementation plan
   Installation
   Verification
   Closure
PREPARE A CHANGE PROPOSAL

 used to document the changes in the specific
  application area.
 It is assigned a change proposal number, identifies
  approval authority, defines security, and establishes
  issued date, effective date, and distribution.
 The baseline configuration and documentation are
  verified.
 From this point on, the change proposal must be
  controlled throughout the lifecycle.
CLASSIFY & APPROVE PROPOSED CHANGES
   The Change Control Board must review, evaluate,
    and approve changes and then classify the change
    as minor, moderate and major.

DEVELOP AN IMPLEMENTATION PLAN

 The implementation plan describes how the change
  will be put in place.
 Baseline documentation is updated.

 Operators and maintenance personnel are trained
  in the change.
INSTALL THE CHANGE
   This step speak for itself.

VERIFY INSTALLATION
 Verify that each step in the process is completed
  and the documentation matches the “as-built”
  configuration.
 Conduct a system audit.

CLOSE OUT THE CHANGE
   Everything is completed and the cycle is repeated
    for the next proposed change.
 Managing   change requires that the purpose
 and justification of the change be
 documented; change be reviewed for
 impact on safety, health and environment;
 cGMPs be reviewed for impact on GMP
 values; additional risk is not introduced into
 the process; authorization be documented;
 process information be updated; operating
 and maintenance procedures be revised;
 personnel who are affected by the change
 be trained; and configuration of the plant be
 maintained.
FLOW CHART OF CHANGE MANAGEMENT SYSTEM
HANDLING AND CONTROLLING
CHANGES-
   Handling and controlling change, initiator call for a
    meeting of change control team and puts the proposal
    for change with the problems and consequences and
    advantages.
   Team reviews-
    Should the change be allowed?
    Partly or Wholly?
    Regulatory impact?
    GMP & safety impact?
    Need for requalification or revalidation?
    Customer/ Agency to be informed?
    Category of the change? Reporting category?
    Documentation requires & documents affected?
 If the team has decided on above points, the CCIF
  (change control initiation form) is processed by the
  team members for a sign-off & each member
  understands her/his responsibilities.
 the initiator coordinates the change process at all
  levels.
 QA checks the adequacy of the process data,
  impact and follow up closure and communicates to
  the customers/clients and management.
 Regulatory prepares the reporting document for the
  agency.
SOP ON CHANGE CONTROL
   The purpose of this SOP is to describe in detail the
    change control process flow, starting with a request for a
    change following necessary assessments and
    approvals.
   This standard process ensures that all planned changes
    related to any aspect of manufacture, testing and
    distribution are reviewed, assessed and approved by
    technical and quality competent site personnel, which
    includes Quality Assurance.
   The main task is to evaluate potential impacts followed
    by correlative consequences of the requested change
    on product quality, current Good Manufacturing Practice
    (cGMP), including qualification and validation and the
    regulatory file/dossier before approval and
    implementation of a change control request.
   This procedure applies to all new and existing
    manufacturing/packaging processes, utilities, major
    equipment, computerized systems, facilities, drug
    products, drug substances, medical devices, raw
    materials, components, testing requirements,
    specifications and systems for marketed products
    and clinical trials (clinical, preclinical and stability
    with GMP implications). Documents and systems
    that may be impacted by a given change in any of
    these areas include, but are not limited to, all
    master documents, Marketing Authorization
    Applications (MAA‟s), New Drug Applications
    (NDA‟s), validation, stability protocols and control
    systems.
Company Name            Page
Department              SOP No.+ Version No.
Change Control          Supersedes: SOP No.
                        Attachments:
                        Effective date: DD/MM/YYYY


1. Regulatory Basis, Reference Documents
 CFR 314.70 “Supplements and other changes to an
  approved application”
 Commission Regulation EC 541/95 “Variation to
  the terms of a marketing authorization
 ISO 9004 08.8 Design Change Control

             11.6 Process Change Control
 PIC – PH 1/96
 ICH Q7A chapter 13 „Change Control‟


 2. PURPOSE

     The purpose of this SOP is to describe in detail the
      change control process flow, starting with a request
      for a change following necessary assessments and
      approvals.
     This standard process ensures that all planned
      changes related to any aspect of manufacture,
      testing and distribution are reviewed, assessed and
      approved by technical and quality competent site
      personnel, which includes Quality Assurance.
   The main task is to evaluate potential impacts
    followed by correlative consequences of the
    requested change on product quality, current Good
    Manufacturing Practice (cGMP), including
    qualification and validation and the regulatory
    file/dossier before approval and implementation of a
    change control

 3. SCOPE
 This procedure applies to all new and existing
  manufacturing/packaging processes, utilities, major
  equipment, computerized systems, facilities, drug
  products, drug substances, medical devices, raw
  materials, components, testing requirements,
  specifications and systems for marketed products
  and clinical trials (clinical, preclinical and stability
  with GMP implications).
   Documents and systems that may be impacted by a
    given change in any of these areas include, but are
    not limited to, all master documents, Marketing
    Authorization Applications (MAA‟s), New Drug
    Applications (NDA‟s), validation, stability protocols
    and control systems.


4. RESPONSIBILITIES AND ACCOUNTABILITIES
4.1 Applicant/Change requester
 As a matter of principle every individual who had
  been trained on the change control SOP should use
  the change control form attached to this SOP to
  request a change
CATEGORY OF CHANGES
 Impact assessment of changes is extremely
  important to the agency & changes are outlines as
  Major, Moderate & Minor.
 A compliance of regulatory group within the
  company determines the filing impact and submits it
  to FDA,-

    A Prior- Approval Supplement (PAS) for major
    changes,
    A CBE -30 or CBE-0 for moderate changes or
    Annual report for Minor changes.
MAJOR CHANGES-
 Is likely to have a detectable impact on the critical
  attributes of the product, significantly.
 Could shift the process in a discernible manner ( Such
  as: quality, yield, stability, impurity profile, crystal form,
  particle size, bulk density)
 Warrants definite additional/ major testing & suitable
  revalidation studies to justify changes.
 Reviewed by QA at the facility level & approved by
  corporate groups.
 Requires prior FDA approval.
Eg. Change in equipment type ( Dryer, configuration,
  Blender type, crystallizer type, tablet compression
  machine, coating equipment)
  Revision of standard test procedure for assay
  (potentiometric to HPLC) for related substance ( TLC to
  HPLC), for residual solvents (GC to Head space)
Change work flow task from initiation to closure from traceable
                         authenticity
MODERATE CHANGES-
 Is usually for improvements to process, materials,
  product or procedure
 Therefore, no reason to wait for approval
 Does not require prior approval by regulatory /FDA
  before implementation
 The agency will want to review it
 Can go in annual report to FDA
 Can be evaluated by QA, at the facility & then approved
  by corporate groups.
 These are called “ change being effected”
 Categories are CBE-30 & CBE-0
Eg. Improvement in yield
     Improvement in critical quality
MINOR CHANGES

 Is unlikely to have a detectable impact on the
  critical attributes of the products.
 Does not shift the process in any discernible
  manner
 Can be implemented with minimal testing and
  revalidation
 Can be reviewed and approved by QA at the facility
  level
 Is reported in annual reports to FDA and does not
  require FDA approval
Eg. Like for like equipment replacement
    Noncritical process parameter
When developing a change control procedure
  following points must be considered
 Developing a robust change control system

 Educate users of the change control system, and

 Enforce change control system policies and
  procedures
ENSURING TRAINING & PROCEDURES IN A
MANAGEMENT OF CHANGE PROGRAM
   Training in change is required for all changes in process
    and operation; technology; facilities and equipment; and
    procedures.
   It may be as simple as reading and initialing simple
    changes in a procedure if it does not affect skills or
    knowledge. In other cases, it could require developing
    new lesson plans to teach the new skills and knowledge,
    or developing and delivering structured on-the-job
    training.
   Reinforcement training, an FDA requirement, is targeted
    for performers to maintain their skills and knowledge.
    Training in change should be critical and may cover
    much of the reinforcement training.
LEVEL OF APPROVAL-
 The change control proposals are formal
  documents and must be initiated by the affected
  group. For eg production unit is the effected group
  for changes to equipment and facility expansion. in
  this eg, production unit will initiate the change
  proposal
 This proposal could reviewed and discussed by
  other responsible persons from departments, such
  as R & D ,QA ,Regulatory and affected client.
 However, the final approval is granted by Quality
  Unit.
Assign levels of approval within departments for
  changes
 Categorized as major, the review and approval
  must be dealt with by senior experts from
  stakeholder department and Quality Unit.
 In contrast ,for the change categorized as Minor,
  the review and approvals can be delegated to
  trained personnel who are not necessarily from
  senior management.
  Once a manual process has been implemented,
  one of the stakeholder groups such as Regulatory
  needs to conduct an internal audit once a year.
  When all of the pieces, are in place, change control
  process /program will provide the ability to submit,
  evaluate, approve, communicate, correctly
  implement and document all change that impact
  SQIPP.
REGULATOR PROSPECTIVE OF CHANGE
CONTROL
  Considering the regulatory prospective of change control
  procedures, it is important to note that there are many
  guideline which describe the control of changes in
  manufacturing few references includes
 21 CFR Part 211: Sec. 211.100
  There shall be written procedure for production and
  process control designed to ensure that the drug product
  have the identity, strength, quality and purity. They
  purport or are represents to process.
  These written procedure, including any changes, shall we
  drafted, reviewed, and appointed by the appropriate
  organizational units & reviewed & approved by the quality
  control unit.
 21 CFR Part 211.194 (Laboratory Records)
  Complete record shall be maintained of any modification of an
  established method employed in testing. Such records shall
  include the reason for the modification & data to be verify that
  the modification produced results that are at least as accurate
  & reliable for the material being tested as established method.
 ICH Q7A

  A formal change control system should be established to
  evaluate all changes that could affect the production & control
  of the intermediate or API. Written procedures should provide
  for the identification, documentation, appropriate review, &
  approval of changes in raw materials, specifications, analytical
  methods, facilities, support systems, equipment, processing
  steps, labeling & packaging materials & computer software.
 USFDA Guidance for Industry: Change to an
  approved NDA or ANDA ( April 2004- Revison-1)
 This guidance provides recommendations to holders of
  new drug applications (NDAs) & ANDAs who intend to
  make post approval changes in accordance with section
  506A of federal Food, Drug & Cosmetic Act ( the act) &
  $314.70 (21 CFR 314.70)
  The guidance covers recommended reporting categories
  for post approval changes for drugs other than specific
  biotechnology & specified synthetic biological products.
CONCLUSION-
 Change is inevitable, and because continuous
  improvement is impossible without change, progress is
  built on change.
 The key to making successful change in the
  pharmaceutical world is to manage it, both from internal
  and external perspectives.
 Changes can happen at any time during a product‟s
  lifecycle. The impact of the change needs to be balanced
  against the cost of making the change (safety, time and
  money).
 Impact of change may require amendments to registered
  details. Changes must be formally documented and
  approved via a change control process. It needs to
  evaluate risk assessments throughout change control
  process.
REFERENCE-
1.   Change Control in the FDA-regulated Industry,
     http://www.metricstream.com/insights/chg_ctrl_FDA.htm
2.   "Guidance for Industry: Quality Systems Approach to
     Pharmaceutical CGMP Regulations"(PDF). U.S. Food and
     Drug Administration. September 2006.
     http://www.fda.gov/downloads/Drugs/GuidanceComplianceR
     egulatoryInformation/Guidances/UCM070337.pdf.
3.   Infusion. "Challenges of Change Control in a Regulated
     Industry". http://www.infinityqs.com/asset-
     library/articles/ChangeControlChallenges.pdf.
4.   ICH. "Q7: Good Manufacturing Practice Guide for Active
     Pharmaceutical Ingredients".
     http://www.ich.org/fileadmin/Public_Web_Site/ICH_Products/
     Guidelines/Quality/Q7/Step4/Q7_Guideline.pdf.
5.   “Change management methods and implementation best
     practices”
     http://www.itsm.info/ITSM%20Change%20Management%20
     Best%20Practices.pdf
6.    “Standard operating procedure SOP-Pharma”
      http://www.gmp-online-
      consultancy.com/standard_operation_procedure.htm
7.    “Change of Control”http://www.gmp-online-
      consultancy.com/e/info_preview/Change_Control_V2_P3.p
      df
8.    “Pharmaceutical change control”
      http://www.pigmp.com/pdf/pharmaceutical-change-
      control.pdf
9.    U.S. Food and Drug Administration, 21 CFR Part 314.70,
      Supplements and other changes to an Approved
      Application, Revised as of April 1, 2000.
10.   U.S. Food and Drug Administration, 21 CFR Part 211,
      Current Good Manufacturing Practice for Finished
      Pharmaceuticals.
11.   U.S. Food and Drug Administration, Compliance Program
      Guidance Manual 7346.832, Preapproval
      Inspections/Investigations.
12.   U.S. Food and Drug Administration Modernization Act of
      1997, Public Law 105-115, 105th Congress.
13.   U.S. Food and Drug Administration, Center for Drugs and
      Biologics and Center for Devices and Radiological Health,
      Guideline on General Principles of Process Validation.
14.   Parenteral Drug Association, Current Practices in the
      Validation of Aseptic Processing, 2001, Technical Report No.
      36.
15.   “ICH Q10 Pharmaceutical Quality System”
      http://www.ich.org/fileadmin/Public_Web_Site/
      GMP_Inspector_perspective.pdf
16.   “GOOD LABORATORY PRACTICE (GLP)”
      http://apps.who.int/tdr/... /good-laboratory-practice-
      handbook/pdf/glp-handbook.pdf
17.   Change Control – Perspective from a Pharmaceutical
      Company,
      http://www.ipacrs.com/PDFs/SQC%2028%20May/Riddell.pdf
18.   “Management of change”
      http://www.pharmamanufacturing.com/articles/2008/057.html?
      page=2
Regulatory aspect of pharmaceutical  change control system

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Regulatory aspect of pharmaceutical change control system

  • 1. REGULATORY ASPECT OF PHARMACEUTICAL CHANGE CONTROL SYSTEM PRESENTED BY DEVESH SHARMA M.PHARM (DRA) devesh.m.pharmdra@gmail.com
  • 2. CHANGE CONTROL  A process that ensures that changes to materials, methods, equipment and software are properly documented, validated, approved and traceable.  The process includes evaluation to determine whether validation is required and the level of validation required.
  • 3. BENEFITS OF CHANGE CONTROL SYSTEM  Careful planning helps to ensure that the change process is started and managed by the right people at the right time  Planned change management allows you to include specific tasks and events that are appropriate for each stage in the change process  Change management ensures that customers, suppliers and other stakeholders understand and support the change  Change control reduces disruptive aspects and emphasizes positive opportunities in the change process  Change control allows easy tracking of changes and compliance to FDA regulations.
  • 4. Applying these steps, the system can be designed for managing the configuration and controlling the change, and then the necessary procedures and forms can be prepared. It is important that the system design come first. Specifically:  Identify the change to be made  Accumulate and review the baseline documentation, including drawings, procedures, P&IDs, equipment data sheets and MOC forms.
  • 5. MANAGEMENT OF CHANGE AND CONTINUOUS IMPROVEMENT Changes to process, equipment, procedures, technology, material and organization are necessary for continuous improvement and a MOC system must also be continuously improved. The process requires eight basic steps:  Identification  Documentation review  Change proposal  Change classification  Implementation plan  Installation  Verification  Closure
  • 6. PREPARE A CHANGE PROPOSAL  used to document the changes in the specific application area.  It is assigned a change proposal number, identifies approval authority, defines security, and establishes issued date, effective date, and distribution.  The baseline configuration and documentation are verified.  From this point on, the change proposal must be controlled throughout the lifecycle.
  • 7. CLASSIFY & APPROVE PROPOSED CHANGES  The Change Control Board must review, evaluate, and approve changes and then classify the change as minor, moderate and major. DEVELOP AN IMPLEMENTATION PLAN  The implementation plan describes how the change will be put in place.  Baseline documentation is updated.  Operators and maintenance personnel are trained in the change.
  • 8. INSTALL THE CHANGE  This step speak for itself. VERIFY INSTALLATION  Verify that each step in the process is completed and the documentation matches the “as-built” configuration.  Conduct a system audit. CLOSE OUT THE CHANGE  Everything is completed and the cycle is repeated for the next proposed change.
  • 9.  Managing change requires that the purpose and justification of the change be documented; change be reviewed for impact on safety, health and environment; cGMPs be reviewed for impact on GMP values; additional risk is not introduced into the process; authorization be documented; process information be updated; operating and maintenance procedures be revised; personnel who are affected by the change be trained; and configuration of the plant be maintained.
  • 10. FLOW CHART OF CHANGE MANAGEMENT SYSTEM
  • 11. HANDLING AND CONTROLLING CHANGES-  Handling and controlling change, initiator call for a meeting of change control team and puts the proposal for change with the problems and consequences and advantages.  Team reviews- Should the change be allowed? Partly or Wholly? Regulatory impact? GMP & safety impact? Need for requalification or revalidation? Customer/ Agency to be informed? Category of the change? Reporting category? Documentation requires & documents affected?
  • 12.  If the team has decided on above points, the CCIF (change control initiation form) is processed by the team members for a sign-off & each member understands her/his responsibilities.  the initiator coordinates the change process at all levels.  QA checks the adequacy of the process data, impact and follow up closure and communicates to the customers/clients and management.  Regulatory prepares the reporting document for the agency.
  • 13. SOP ON CHANGE CONTROL  The purpose of this SOP is to describe in detail the change control process flow, starting with a request for a change following necessary assessments and approvals.  This standard process ensures that all planned changes related to any aspect of manufacture, testing and distribution are reviewed, assessed and approved by technical and quality competent site personnel, which includes Quality Assurance.  The main task is to evaluate potential impacts followed by correlative consequences of the requested change on product quality, current Good Manufacturing Practice (cGMP), including qualification and validation and the regulatory file/dossier before approval and implementation of a change control request.
  • 14. This procedure applies to all new and existing manufacturing/packaging processes, utilities, major equipment, computerized systems, facilities, drug products, drug substances, medical devices, raw materials, components, testing requirements, specifications and systems for marketed products and clinical trials (clinical, preclinical and stability with GMP implications). Documents and systems that may be impacted by a given change in any of these areas include, but are not limited to, all master documents, Marketing Authorization Applications (MAA‟s), New Drug Applications (NDA‟s), validation, stability protocols and control systems.
  • 15. Company Name Page Department SOP No.+ Version No. Change Control Supersedes: SOP No. Attachments: Effective date: DD/MM/YYYY 1. Regulatory Basis, Reference Documents  CFR 314.70 “Supplements and other changes to an approved application”  Commission Regulation EC 541/95 “Variation to the terms of a marketing authorization  ISO 9004 08.8 Design Change Control 11.6 Process Change Control
  • 16.  PIC – PH 1/96  ICH Q7A chapter 13 „Change Control‟ 2. PURPOSE  The purpose of this SOP is to describe in detail the change control process flow, starting with a request for a change following necessary assessments and approvals.  This standard process ensures that all planned changes related to any aspect of manufacture, testing and distribution are reviewed, assessed and approved by technical and quality competent site personnel, which includes Quality Assurance.
  • 17. The main task is to evaluate potential impacts followed by correlative consequences of the requested change on product quality, current Good Manufacturing Practice (cGMP), including qualification and validation and the regulatory file/dossier before approval and implementation of a change control 3. SCOPE  This procedure applies to all new and existing manufacturing/packaging processes, utilities, major equipment, computerized systems, facilities, drug products, drug substances, medical devices, raw materials, components, testing requirements, specifications and systems for marketed products and clinical trials (clinical, preclinical and stability with GMP implications).
  • 18. Documents and systems that may be impacted by a given change in any of these areas include, but are not limited to, all master documents, Marketing Authorization Applications (MAA‟s), New Drug Applications (NDA‟s), validation, stability protocols and control systems. 4. RESPONSIBILITIES AND ACCOUNTABILITIES 4.1 Applicant/Change requester  As a matter of principle every individual who had been trained on the change control SOP should use the change control form attached to this SOP to request a change
  • 19. CATEGORY OF CHANGES  Impact assessment of changes is extremely important to the agency & changes are outlines as Major, Moderate & Minor.  A compliance of regulatory group within the company determines the filing impact and submits it to FDA,- A Prior- Approval Supplement (PAS) for major changes, A CBE -30 or CBE-0 for moderate changes or Annual report for Minor changes.
  • 20. MAJOR CHANGES-  Is likely to have a detectable impact on the critical attributes of the product, significantly.  Could shift the process in a discernible manner ( Such as: quality, yield, stability, impurity profile, crystal form, particle size, bulk density)  Warrants definite additional/ major testing & suitable revalidation studies to justify changes.  Reviewed by QA at the facility level & approved by corporate groups.  Requires prior FDA approval. Eg. Change in equipment type ( Dryer, configuration, Blender type, crystallizer type, tablet compression machine, coating equipment) Revision of standard test procedure for assay (potentiometric to HPLC) for related substance ( TLC to HPLC), for residual solvents (GC to Head space)
  • 21. Change work flow task from initiation to closure from traceable authenticity
  • 22. MODERATE CHANGES-  Is usually for improvements to process, materials, product or procedure  Therefore, no reason to wait for approval  Does not require prior approval by regulatory /FDA before implementation  The agency will want to review it  Can go in annual report to FDA  Can be evaluated by QA, at the facility & then approved by corporate groups.  These are called “ change being effected”  Categories are CBE-30 & CBE-0 Eg. Improvement in yield Improvement in critical quality
  • 23. MINOR CHANGES  Is unlikely to have a detectable impact on the critical attributes of the products.  Does not shift the process in any discernible manner  Can be implemented with minimal testing and revalidation  Can be reviewed and approved by QA at the facility level  Is reported in annual reports to FDA and does not require FDA approval Eg. Like for like equipment replacement Noncritical process parameter
  • 24.
  • 25. When developing a change control procedure following points must be considered  Developing a robust change control system  Educate users of the change control system, and  Enforce change control system policies and procedures
  • 26. ENSURING TRAINING & PROCEDURES IN A MANAGEMENT OF CHANGE PROGRAM  Training in change is required for all changes in process and operation; technology; facilities and equipment; and procedures.  It may be as simple as reading and initialing simple changes in a procedure if it does not affect skills or knowledge. In other cases, it could require developing new lesson plans to teach the new skills and knowledge, or developing and delivering structured on-the-job training.  Reinforcement training, an FDA requirement, is targeted for performers to maintain their skills and knowledge. Training in change should be critical and may cover much of the reinforcement training.
  • 27. LEVEL OF APPROVAL-  The change control proposals are formal documents and must be initiated by the affected group. For eg production unit is the effected group for changes to equipment and facility expansion. in this eg, production unit will initiate the change proposal  This proposal could reviewed and discussed by other responsible persons from departments, such as R & D ,QA ,Regulatory and affected client.  However, the final approval is granted by Quality Unit.
  • 28. Assign levels of approval within departments for changes  Categorized as major, the review and approval must be dealt with by senior experts from stakeholder department and Quality Unit.  In contrast ,for the change categorized as Minor, the review and approvals can be delegated to trained personnel who are not necessarily from senior management. Once a manual process has been implemented, one of the stakeholder groups such as Regulatory needs to conduct an internal audit once a year. When all of the pieces, are in place, change control process /program will provide the ability to submit, evaluate, approve, communicate, correctly implement and document all change that impact SQIPP.
  • 29. REGULATOR PROSPECTIVE OF CHANGE CONTROL Considering the regulatory prospective of change control procedures, it is important to note that there are many guideline which describe the control of changes in manufacturing few references includes  21 CFR Part 211: Sec. 211.100 There shall be written procedure for production and process control designed to ensure that the drug product have the identity, strength, quality and purity. They purport or are represents to process. These written procedure, including any changes, shall we drafted, reviewed, and appointed by the appropriate organizational units & reviewed & approved by the quality control unit.
  • 30.  21 CFR Part 211.194 (Laboratory Records) Complete record shall be maintained of any modification of an established method employed in testing. Such records shall include the reason for the modification & data to be verify that the modification produced results that are at least as accurate & reliable for the material being tested as established method.  ICH Q7A A formal change control system should be established to evaluate all changes that could affect the production & control of the intermediate or API. Written procedures should provide for the identification, documentation, appropriate review, & approval of changes in raw materials, specifications, analytical methods, facilities, support systems, equipment, processing steps, labeling & packaging materials & computer software.
  • 31.  USFDA Guidance for Industry: Change to an approved NDA or ANDA ( April 2004- Revison-1)  This guidance provides recommendations to holders of new drug applications (NDAs) & ANDAs who intend to make post approval changes in accordance with section 506A of federal Food, Drug & Cosmetic Act ( the act) & $314.70 (21 CFR 314.70) The guidance covers recommended reporting categories for post approval changes for drugs other than specific biotechnology & specified synthetic biological products.
  • 32. CONCLUSION-  Change is inevitable, and because continuous improvement is impossible without change, progress is built on change.  The key to making successful change in the pharmaceutical world is to manage it, both from internal and external perspectives.  Changes can happen at any time during a product‟s lifecycle. The impact of the change needs to be balanced against the cost of making the change (safety, time and money).  Impact of change may require amendments to registered details. Changes must be formally documented and approved via a change control process. It needs to evaluate risk assessments throughout change control process.
  • 33. REFERENCE- 1. Change Control in the FDA-regulated Industry, http://www.metricstream.com/insights/chg_ctrl_FDA.htm 2. "Guidance for Industry: Quality Systems Approach to Pharmaceutical CGMP Regulations"(PDF). U.S. Food and Drug Administration. September 2006. http://www.fda.gov/downloads/Drugs/GuidanceComplianceR egulatoryInformation/Guidances/UCM070337.pdf. 3. Infusion. "Challenges of Change Control in a Regulated Industry". http://www.infinityqs.com/asset- library/articles/ChangeControlChallenges.pdf. 4. ICH. "Q7: Good Manufacturing Practice Guide for Active Pharmaceutical Ingredients". http://www.ich.org/fileadmin/Public_Web_Site/ICH_Products/ Guidelines/Quality/Q7/Step4/Q7_Guideline.pdf. 5. “Change management methods and implementation best practices” http://www.itsm.info/ITSM%20Change%20Management%20 Best%20Practices.pdf
  • 34. 6. “Standard operating procedure SOP-Pharma” http://www.gmp-online- consultancy.com/standard_operation_procedure.htm 7. “Change of Control”http://www.gmp-online- consultancy.com/e/info_preview/Change_Control_V2_P3.p df 8. “Pharmaceutical change control” http://www.pigmp.com/pdf/pharmaceutical-change- control.pdf 9. U.S. Food and Drug Administration, 21 CFR Part 314.70, Supplements and other changes to an Approved Application, Revised as of April 1, 2000. 10. U.S. Food and Drug Administration, 21 CFR Part 211, Current Good Manufacturing Practice for Finished Pharmaceuticals. 11. U.S. Food and Drug Administration, Compliance Program Guidance Manual 7346.832, Preapproval Inspections/Investigations. 12. U.S. Food and Drug Administration Modernization Act of 1997, Public Law 105-115, 105th Congress.
  • 35. 13. U.S. Food and Drug Administration, Center for Drugs and Biologics and Center for Devices and Radiological Health, Guideline on General Principles of Process Validation. 14. Parenteral Drug Association, Current Practices in the Validation of Aseptic Processing, 2001, Technical Report No. 36. 15. “ICH Q10 Pharmaceutical Quality System” http://www.ich.org/fileadmin/Public_Web_Site/ GMP_Inspector_perspective.pdf 16. “GOOD LABORATORY PRACTICE (GLP)” http://apps.who.int/tdr/... /good-laboratory-practice- handbook/pdf/glp-handbook.pdf 17. Change Control – Perspective from a Pharmaceutical Company, http://www.ipacrs.com/PDFs/SQC%2028%20May/Riddell.pdf 18. “Management of change” http://www.pharmamanufacturing.com/articles/2008/057.html? page=2