Combination Product (FDC)
Combination Product (FDC)
Combination Product (FDC)
A WHITE PAPER
Over the last 10 years, FDA regulatory centers have struggled with the changes and challenges that these new technologies present. For manufacturers too, the convergence of drugs/biologics and devices has created a host of regulatory issues, along with many exciting opportunities. The FDA issued an informational compliance document in 2004. This didnt provide much guidance for practitioners in terms of regulatory methodology and lacked information on what parts of the USP and ISO documents would be required for combination products. In 2007, our first paper on the subject, Combination Products: Navigating Two FDA Quality Systems, addressed these difficulties. To make matters even more complex, were now seeing human cellular and tissue-based products (HCT/P) incorporated in combination products, raising a host of new challenges for testing, sterilization, and contamination avoidance. However, over the past 12 months, the FDA has addressed the dichotomy of dual quality systems by developing streamlined regulations for Good Manufacturing Compliance.
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Following FDA approval, manufacturing must be scaled up for commercial production. A fully compliant quality system, including the necessary testing programs, must be developed as part of this effort. (The expertise of an experienced life science testing firm can be invaluable during this process.) If the PMOA is a medical device, you would use the QSRs as your foundation framework. If it contains a drug, you then must overlay the drug GMPs for finished pharmaceuticals (21 CFR Part 210-211). Testing requirements would include stability, batch control, pH, color and appearance, particulates, concentrations, and label claims. If the device contains a biologic, you must overlay the biologic GMPs (21 CFR Part 600-680). In addition, stress testing should be done on the pharmaceutical component of the finished product. On the other hand, if your PMOA is a drug product, you would use the drug GMPs (21 CFR Part 201-211) as your foundational quality framework, and also show compliance with elements of the medical device QSRs.
and other diseases. The FDA is voicing concerns about stability and contamination control. These issues can be highly detrimental and may result in product recalls or manufacturing facility closures. As a result, we strongly recommend that a percentage of harvested tissue used in a combination product go through a sterility testing process. It is imperative that independent labs follow USP/FDA regulations for testing these products. When developing their quality systems, combination manufacturers should work hand-in-hand with testing laboratories to develop validated procedures that will fulfill all anticipated testing requirements. This partnership can be highly effective in identifying potential contaminants (viral, microbial, and non-microbial) and opportunities for reduced cycle time and costs. A strong relationship will ensure that all information required by the FDA is captured and that the manufacturers products are safe and efficacious. During manufacturing scale-up, the engineering studies must be designed to ensure the process follows correct procedures and that your products meet required performance standards. The FDA requires the validation of your process and raw materials testing. A high degree of statistical confidence is required to ensure the combination product will be manufactured consistently and meet finished product specifications. The validation program also should include Process Analytical Technology (PAT) and Design of Experiment (DOE) programs. The FDA wants to see these methodologies included in all pharmaceutical manufacturing processes.
CONCLUSION
With the proposed 21 CFR Part 4 document published and the comment period closed, the FDA is now reviewing public and industry input. The regulations will become law 180 days after their final publication in the Federal Register. This is anticipated by the end of 2010. Once 21 CFR Part 4 gets promulgated, manufacturers will be held accountable for compliance and the FDA will use it as a legal document for enforcement. This new streamlined approach for regulating combination products is a big step forward for the practitioner. It applies parts of both the QSR and GMP quality systems in a way that makes sense for the unique characteristics of each combination product. 21 CFR Part 4 closes the gaps in the 2004 guidelines and succinctly clarifies the process for establishing quality systems that ensure compliance and patient health and safety. Reliable testing procedures will be critical in complying with these new requirements. Pharmaceutical testing laboratories can play an important role in guiding combination product developers on their quality system journey. Testing laboratories that also offer contract manufacturing services, such as Microtest Labs, are particularly adept at understanding the new regulations and requirements. With the capability to test and process biologics, drugs, medical devices, and tissue products, these firms can provide expertise that will lower costs and accelerate the introduction of your combination product to market.
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About Microtest
Microtest Laboratories is a leader in testing services and contract manufacturing for medical devices, pharmaceuticals, and biotechnology. Founded in 1984, the companys expertise and flexible processes enhance product safety and security, speed time to market, and minimize supply chain disruption. Mictrotests unique single-source capability to provide testing and manufacturing solutions allows the company to support a full pharmaceutical or medical device product release. Our facilities in Agawam, Massachusetts, include state-of-the-art aseptic manufacturing areas; analytical chemistry, microbiological, and virological laboratories; Class 100 clean rooms; onsite steam and ethylene oxide sterilization, plus depyrogenation capabilities; purified water systems; and voice/data systems.
1-800-631-1680 1-413-786-1680 fax: 1-413-789-4334 Microtest Laboratories, Inc. 104 Gold St P.O. Box 848 Agawam, MA 01001 Microtest is a trademark of Microtest Laboratories, Inc. All other brands may be trademarks of their respective holders. 2010 Microtest Laboratories, Inc. All rights reserved. Printed in U.S.A. 1050003 4/10
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