Guía de Validación de Limpieza para APIs
Guía de Validación de Limpieza para APIs
Guía de Validación de Limpieza para APIs
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Table of Contents
1.0 FOREWORD
2.0 OBJECTIVE
3.0 SCOPE
4.0 ACCEPTANCE CRITERIA
4.1 Introduction
4.2 Methods of Calculating Acceptance Criteria
4.2.1. Acceptance criteria using health-based data
4.2.2 Acceptance criteria using a General Limit
4.2.3. Acceptance criteria for therapeutic macromolecules and peptides
4.2.4 Swab Limits
4.2.5 Rinse Limits
4.2.6 Rationale for the use of different limits in pharmaceutical and chemical
production
5.0 LEVELS OF CLEANING
5.1 Introduction
5.2 Cleaning Levels
5.3 Cleaning Verification/Validation
6.0 CONTROL OF CLEANING PROCESS
7.0 BRACKETING AND WORST CASE RATING
7.1 Introduction
7.2 Bracketing Procedure
7.3 Cleaning Procedures
7.4 Investigations and Worst Case Rating
7.5 Worst Case Rating
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1.0 FOREWORD
This guidance document was initially updated in 2014 by the APIC Cleaning Validation Task
Force on behalf of the Active Pharmaceutical Ingredient Committee (APIC) of CEFIC.
A revision of the guidance document was done in 2016 to bring it in line with the European
Medicines Agency Guidance on use of Health Based data on setting health-based exposure
limits for determining safe threshold values for the cleaning1 . The main changes were
introduced in Chapter 4, Acceptance Criteria.
A further revision has now been done in 2018 - 2019 to address comments received from
industry, to align further the guidance with the EMA Q&A2 on use of Health Based Exposure
Limits (HBELs) and published articles on use of HBELs.
The subject of cleaning validation in active pharmaceutical ingredient manufacturing plants
has continued to receive a large amount of attention from regulators, companies and customers
alike.
1
European Medicines Agency, EMA/CHMP/CVMP/SWP/169430/2012, Guideline on setting health-based
exposure limits for use in risk identification in the manufacture of different medicinal products in shared
facilities.
2
19 April 2018, EMA/CHMP/CVMP/SWP/246844/2018, Questions and answers on implementation of risk-based
prevention of cross-contamination in production and ‘Guideline on setting health-based exposure limits for
use in risk identification in the manufacture of different medicinal products in shared facilities’
26 July 2018, EMA/288493/2018, Outcome of public consultation on Questions and Answers on
implementation of risk-based prevention of cross contamination in production and ‘Guideline on setting
health based exposure limits for use in risk identification in the manufacture of different medicinal products
in shared facilities’
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It is important that the requirements for the finished manufacturing companies are not
transferred back in the process to active pharmaceutical ingredient manufacturers without
consideration for the different processes that take place at this stage.
The document reflects the outcome of discussions between APIC member companies on how
cleaning validation requirements could be fulfilled and implemented as part of routine
operations.
In addition, APIC has aligned this guidance with the ISPE Risk MaPP Guide3 that follows the
Quality Risk Management Processes as described in the ICH Q9 Guidance on Quality Risk
Management.
The criteria of Acceptable Daily Exposure (ADE) or Permitted Daily Exposure (PDE) are
recommended to be used by companies to decide if Dedicated Facilities are required or not and
to define the Maximum Acceptable Carry Over (MACO) of API’s in particular, in Multi-
Purpose Equipment.
Chapter 6 defines factors that should be considered in controls of the cleaning processes to
manage the risks related to potential chemical or microbiological contamination.
3
ISPE Baseline® Pharmaceutical Engineering Guide, Volume 7 – Risk-Based Manufacture of Pharmaceutical
Products, International Society for Pharmaceutical Engineering (ISPE), First Edition, September 2010,
www.ispe.org.
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The PDA Technical Report No. 29 – Points to Consider for Cleaning Validation4 is also
recommended as a valuable guidance document from industry.
2.0 OBJECTIVE
This document has been prepared to assist companies in the formulation of cleaning validation
programs and should not be considered as a technical standard but a starting point for internal
discussions. The document includes examples on how member companies have dealt with
specific areas and issues that arise when performing cleaning validation.
3.0 SCOPE
Finally, the most frequently asked questions are answered to give further guidance on specific
points related to cleaning validation.
4
Parenteral Drug Association (PDA) Guidance for Industry. Technical Report No. 29 (Revised 2012) Points to
Consider for Cleaning Validation, Destin A. LeBlanc, Gretchen Allison, Jennifer L. Carlson, Koshy George, Igor
Gorsky, Irwin S. Hirsh, Jamie Osborne, Greg Randall, Pierre-Michel Riss, George Verghese, Jenn Walsh, Vivienne
Yankah.
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Companies must demonstrate during validation that the cleaning procedure routinely employed
for a piece of equipment limits potential carryover to an acceptable level. The limits established
must be calculated based on sound scientific rational.
This section provides practical guidance as to how those acceptance criteria can be calculated.
It is important that companies evaluate all cases individually. There may be specific instances
where the product mix in the equipment requires further consideration.
The acceptance criteria preferably should be based on the Acceptable Daily Exposure (ADE)
or Permitted Daily Exposure (PDE) calculations whenever this data is available.
The APIC Guidance refers primarily to ADE in the examples of calculations included in this
chapter.
The ADE/ PDE define limits at which a patient may be exposed every day for a lifetime with
acceptable risks related to adverse health effects. Calculations of ADE/ PDE of APIs and final
intermediates are usually done with involvement of industrial hygienists and toxicologists, who
review all available toxicology and clinical data to set the limits. The justification of the
calculation should be documented.
In many cases Occupational Exposure Limits (OEL) will be defined for APIs, Intermediates
and Industrial Chemicals by industrial hygienists and toxicologists and the OEL data is then
used to define containment measures such that operators are adequately protected while
working with the chemicals.
The acceptance criteria for equipment cleaning should be based on visually clean in dry
conditions and an analytical limit.
Unlike in pharmaceutical production, where residues on the surface of equipment may be 100
% carried over to the next product, in API production the carry-over risk is much lower for
technical and chemical manufacturing reasons. Therefore, all the following examples for
calculating the limits can be adapted to the suitable situation by using different factors. A
competent chemist with detailed knowledge about the equipment and the chemical processes
and the properties of the chemicals involved such as solubility should justify this factor by
evaluating the specific situation.
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The Maximum Allowable Carryover (MACO) should be based upon the Health-Based
Exposure Limits (HBEL), which can be an Acceptable Daily Exposure (ADE) or Permitted
Daily Exposure (PDE), calculated when sufficient data is available. The principle of MACO
calculation is that you calculate your acceptable carry-over of your previous product, based
upon the HBEL, into your next material:
If dose ranges are available, typically the maximum therapeutic daily dose is used for the next material
(TDDnext) in order to calculate a safe MACO. Instead of calculating each potential product change
situation, the worst case scenario can be chosen. Then a case with most active API (lowest ADE or
PDE) is chosen to end up in the following API with the smallest ratio of batch size divided with TDD
(MBS/TDD ratio).
Note: for therapeutic macromolecules and peptides the determination of HBEL using PDE
limits of the active and intact product may not be required (conform EMA CHMP/ CVMP/
SWP/169430/2012). An alternative approach is suggested in section 4.2.3.
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4.2.1.1 HBEL (Binks et al. 2003, Lovsin Barle et al. 2016, EMA guideline)
The HBEL should be calculated as an Acceptable Daily Exposure (ADE) or Permitted Daily
Exposure (PDE). They are effectively comparable with each other and represents an estimate
of a daily exposure that is unlikely to cause an adverse effect if an individual is exposed, by
any route, at or below this dose every day for a lifetime. They are determined to protect patients
and are calculated by following formulas in mg/day:
POD x BW
ADE = ------------------------------
UFc x MF x PK
POD x BW
PDE = ------------------------------
F1 x F2 x F3 x F4 x F5
4.2.1.2 Point Of Departure (Nielsen et al. 2008; Lovsin Barle et al. 2016)
The point of departure is the dose-level from which the HBEL is extrapolated. The point of
departure can take many forms, it might originate from animal or human data and the dose-
level can correspond to different effect-levels. It is also dependent on the phase of development
of the drug product at the moment of assessment. In later phase of drug development more and
more data become available and several POD’s can be selected. In this case the most relevant
or conservative HBEL should be used. The most appropriate POD however, should be carefully
selected by expert judgement.
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conservative approach is needed and therefore more uncertainty factors need to be applied.
Other available data might also be used in order to define an HBEL, but this is based on expert
judgement. If no data at all is available, the TTC principle according to Dolan et al. should be
applied.
Drug products and APIs should have at least one or several NO(A)EL or LO(A)EL values
available. Only very occasionally, for example in early drug development stages, no NO(A)EL
or LO(A)EL might be available and LD50 values can be used, but only with very conservative
uncertainty factors. It is however, strongly advised to restrict the use of LD50 as POD in this
case as LD50 values are not reliable for predicting long-term effects.
For intermediates where limited data may be available, HBEL determination guidance will be
given by the toxicologist.
For most solvents and detergents HBELs are already determined and available in public
databases: ACGIH; OSHA; MAK; NIOSH, etc.
- HBEL available (mostly for solvents and reagents): use most stringent HBEL
- No HBEL available, but NO(A)EL or LO(A)EL available: calculate HBEL (as
described) based on NO(A)EL/LO(A)EL as POD
- No HBEL available, no NO(A)EL or LO(A)EL available: use other available numerical
data as POD to determine HBEL (LD50* values, BMD)
- No HBEL available, no other numerical toxicological data available: use other available
data to determine HBEL (mutagenicity, carcinogenicity, CLP, etc), but this is based on
expert judgement
- No data at all available: use default (based on QSAR) or TTC or additional testing
This hierarchy should strictly be applied in setting the HBEL: the most reliable source of data
available at that moment of assessment should be used to determine the HBEL.
*In cases where no other data is available and only LD50 data is available the HBEL can be
based upon LD50 data. Calculate NOEL according to the following equation and use the result
for the establishment of HBEL
NOEL = LD50 x BW
2000 (2000 is an empirical constant)
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The Threshold of Toxicological Concern (TTC) is a level of human intake or exposure that is
considered to be of negligible risk, despite the absence of chemical-specific toxicity data. The
TTC approach is a scientific rationale provided to estimate acceptable daily exposure values
for compounds with limited or no toxicity information available. The approach was initially
developed by the Food and Drug Administration (FDA) for packaging migrants, and used a
single threshold value of 1.5 μg/day (called the threshold of regulation). However, a more
specific TTC approach for pharmaceutical manufacturing operations was developed by Dolan
et al.
According to the Dolan principle, there are three different categories of compounds on which
the TTC principles can be applied in case limited or no toxicity data is available:
For the first category, carcinogenic potential is assessed based on in vitro mutagenicity data
and/or structural alerts for genotoxic potential and confirmed by an appropriate in vivo test.
The second category contains compounds with limited data indicating they may produce
pharmacologic or toxic effects at very low doses, compounds that show evidence of
mutagenicity in vitro studies, but not confirmed in appropriate in vivo studies or compounds
with a positive in vitro study in combination with a negative in vivo study.
The third class contains compounds with no a priori evidence of unusual toxicity or potency
and which are not considered to be mutagenic (no structural alerts and negative in Ames test)
When the TTC approach is applied, it is important for both risk assessors and risk managers to
keep in mind that it is a probability-based screening tool and may have additional uncertainty.
The TTC principle is based on oral acceptable daily intake levels but can be expanded to
parenteral routes (i.e. intravenous, subcutaneous, intramuscular).
Furthermore, the thresholds are based on chronic exposure, meaning that in case of an atypical
event in cleaning validation an additional margin of safety is provided.
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Companies may choose to have a MACO upper limit as an internal policy, if MACO
calculations result are less stringent, or toxicological data for intermediates are not known, the
approach of a general limit may be suitable. The general limit is often set as an upper limit for
the maximum concentration (MAXCONC) of a contaminating substance in a subsequent batch.
Procedure
E.g. for a general limit of 100 ppm: MACO = 0.01% of the minimum batch size (MBS), and for a
general limit of 10 ppm: MACO = 0.001% of the minimum batch size (MBS).
A general upper limit for the maximum concentration of a contaminating substance in a subsequent
batch (MAXCONC) is often set to 5-500 ppm (100 ppm in APIs is very frequent) of the previous
product into the next product depending on the nature of products produced from the individual
company (e.g. toxicity, pharmacological activity,…). The general limit should be supported by a
scientific/documented rationale.
Note - If you decide to employ the concept of levels of cleaning (ref. section 5), then different
safety factors (ppm limits) may be used for different levels. Especially if the product cleaned
out is within the same synthetic chain and covered by the specification of the API, much higher
(qualified) levels are acceptable.
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Therapeutic macromolecules and peptides are known to degrade and denature when exposed to pH
extremes and/or heat and may become pharmacologically inactive. The cleaning of biopharmaceutical
manufacturing equipment is typically performed under conditions which expose equipment surfaces to
pH extremes and/or heat, which would lead to the degradation and inactivation of protein-based
products. In view of this, the determination of HBEL of the active and intact product may not be
required’ (reference EMA CHMP/ CVMP/ SWP/169430/2012).
Therefore, for therapeutic macromolecules and peptides the acceptance criteria can also be set based
upon 1/1000th of the therapeutic dose (see calculation below), typically in combination with the
application of a maximum general limit of 10 ppm (which is calculated conform the principles described
in section 4.2.2).
In such case, both the limit based upon the 1/1000th of the therapeutic dose and the general limit of 10
ppm are calculated and the lowest value is being used.
Establish the limit for Maximum Allowable Carryover (MACO) according to the following equation.
If ranges are available, typically the minimum therapeutic daily dose is used for TDDprevious and the
maximum therapeutic daily dose is used for the next product (TDDnext) in order to calculate a safe
MACO. Based on the route of administration of the next product a more stringent Safety Factor may be
used, i.e. in the case of an oral dosage type previous product, and a parenteral type next product.
TDDprevious x MBSnext
MACO = --------------------------------------
SF x TDDnetxt
SF = 1000 → 1/1000th
As biopharmaceutical manufacturing typically includes aqueous steps and given the nature of
some of the standard biomanufacturing process steps (e.g. fermentation), there is typically a
microbiological risk involved that should be well controlled.
Therefore, for biopharmaceutical manufacturing it is expected to have microbial samples taken
during the cleaning validation.
To determine the acceptance criteria for microbiological samples (bioburden and endotoxin),
the following approaches may be used:
• Leverage of product / process limits at the different process stages
• Compendia (EP, JP, US, etc.) based acceptance criteria, in which case that the EMA 158/01
‘Note for Guidance on Quality of Water for Pharmaceutical Use’ could be used as a basis to
set an appropriate limit.
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If homogeneous distribution is assumed on all surfaces, a recommended value can be set for
the content in a swab. The maximum allowable carry over from one batch to another can be
established based on the above sections. If the total direct contact surface is known, the target
value for contamination per square meter can be calculated according equation 4.2.5-I. This
can be used as basic information for preparation of a method of analysis and detection limit.
MACO [µg]
2
Equation 4.2.5-I Target value [µg/dm ] = -------------------------
2
Total surface [dm ]
Also other methods with different swab limits for different surfaces in a piece of equipment
and/or equipment train can be used. If the equipment can be divided in several parts, different
swab limits may be taken for the different parts building up the equipment train. If the result
of one part is exceeding the target value, the whole equipment train may still be within the
MACO limit. The Carry Over (CO) is then calculated according equation 4.2.5-II (see below).
During equipment qualification and cleaning validation hard to clean parts can be determined.
Rather than declaring the hard to clean part as the worst case swab limit for the whole
equipment train, it could be separated and dealt with as mentioned above. It should be noted
that different types of surfaces (e.g. stainless steel, glass lined, Teflon) may show different
recoveries during swabbing. In those cases, it may be beneficial to divide the equipment train
in several parts and combine the results in a table or matrix.
When splitting up the surface of a piece of equipment in several segments (areas) having
different swab results or applying different swab results for different pieces of equipment that
build up an equipment train, attention should be payed to careful multiplication of the areas
with the applicable swab results and subsequent summarization.
The total calculated amount should be below the MACO, and the individual swab results should
not exceed the maximum expected residues established during cleaning validation / equipment
qualification. Recovery studies and method validation are necessary when applying swabbing
as a method to determine residues.
Equation 4.2.5-II
CO Carry Over, true (measured) total quantity of substance (possible carry over) on
the cleaned surface in contact with the product, calculated from results of swab
tests.
Ai Area for the tested piece of equipment # i.
2 2
mi Value in µg/dm , for each swab per area of swabbed surface (normally 1 dm )
Note that this equation is applicable in the case of summarizing different swab results of pieces
of equipment that build up an equipment train. In the case a piece of equipment is divided in
several segments each having its own specific swab result, e.g. because of different types
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surfaces in the specific equipment (e.g. stainless steel and Teflon), then Ai should be read as
‘Area for the tested segment of the piece of equipment. The CO in such a specific case is for
the single piece of equipment alone.
For each item tested, the following acceptance criteria (AC) apply.
AC1. The cleaning result of an individual part should not exceed the maximum expected
residue.
AC2. For the total equipment train the MACO must not be exceeded.
In determining acceptance limits, all possible cases of following products in the relevant
equipment shall be taken into account. It is proposed that a matrix be set up in which the limits
for all cases are calculated. Either acceptance criteria for each product in the equipment can be
prepared or the worst case of all product combinations may be selected.
When all surfaces have been sampled and the samples have been analyzed, the results are
compared to the acceptance criteria. Companies may find it easier to evaluate against the
MACO. However, it is advisable to have a policy for swab limit as well. Especially because
analytical methods are validated within a certain range for swab results. Another reason is that
some pieces could be very contaminated, and it is not good practice to clean certain pieces very
thoroughly in order to let others be dirty. Thus, limits for MACO and swabs should be set.
The residue amount in equipment after cleaning can also be determined by taking rinse
samples. During equipment qualification it should be established that all direct content parts of
the equipment is wetted / reached by the rinsing solvent. After the last cleaning cycle (last
rinse), the equipment should be assessed as ‘clean’. In some cases, it may be advisable to dry
the equipment in order to do a proper assessment. Thereafter, the rinse cycle can be executed,
and a sample taken (sampling rinse). The procedure for the rinse cycle and sampling should be
well established and described to assure repeatability and comparability (cycle times,
temperatures, volumes, etc.). The choice of the rinse solvent should be established during
cleaning validation, taking into account solubility of the contaminations, and reactivity of the
rinse solvent towards the contaminants (saponification, hydrolyses, etc). Method validation is
needed.
In a worst-case approach, the amount of the residue in the equipment can be assumed to be
equal to the amount determined by analysis of the rinse sample. This can be supported by rinse
studies that show a strong decay of a residue in a piece of equipment or recovery studies of the
rinse cycle.
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The MACO is usually calculated on each individual product change over scenario according
to the procedures outlined above and individual acceptance criteria are established using the
following equation:
For quantitation a solvent sample (e.g. 1 L) is taken, the residue in the sample is determined by
a suitable analytical method and the residue in the whole equipment is calculated according to
the following equation:
CO [mg] = V*(C-Cb)
The requirement is that CO < target value. If needed, the sample can be concentrated before
analysis.
The choice for swab or rinse sampling usually depends on the type of equipment. Areas to be
swabbed are determined during equipment and cleaning validation (‘hard to clean areas’), and
are preferably readily accessible for operational reasons, e.g. near the manhole. If swabbing of
the indicated area is not easy, rinse sampling is the alternative. The advantage is that the whole
surface of the equipment is sampled for contamination, being provided that during equipment
qualification, surface wetting testing was taken into account. Thus equipment used for milling,
mixing, filters, etc. are usually swabbed, whilst reactor systems are usually sampled by rinsing.
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4.2.6 Rationale for the use of different limits in pharmaceutical and chemical production
In all cases, the limits should be justified by a competent chemist with detailed knowledge
about the equipment and the chemical processes, following Quality Risk Management
Principles and the limits should be approved by Operations and Quality Assurance Managers.
The following description shows an example where the carry-over risk for a residue in chemical
production equipment is much lower than in pharmaceutical production equipment.
Assuming that the common criteria (ADE, PDE, /ADI with SF 100-1000, 10 ppm, TTCs,…)
represent the state of the art for pharmaceutical production and are considered sufficiently safe,
then the calculation of limits in API manufacture must reflect the different processes in
pharmaceutical production and in the chemical production of active pharmaceutical ingredients
to allow comparable risk analyses to be undertaken.
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Chemical production/processing
In chemical production a 100 % carry-over of residue from the equipment surface to the next
product to be manufactured is very unlikely based on the way the process is run and on
technical considerations. The residue remaining on the equipment surface can, during the next
production cycle, be carried over into the reaction mixture consisting of solvent and raw
materials. In most cases, however, any residue in solution will be eliminated from the process
together with the solvent, and insoluble residue by physical separation processes (e.g.
filtration), so likely carry over into the end-product will be low.
The final step in a multi-step chemical synthesis is selective purification of the API (e.g. by
crystallization), during which contaminants are removed from the process and/or insoluble
residues are removed by physical separation). From the original reaction mixture of educt,
agent and solvent there remains only a fraction of the original mass as API at the end of the
chemical process.
It is also to be noted that, during subsequent pharmaceutical production, the API is further
diluted through the excipients that are added.
Residue solved
Residue on Residue
the surface of with
cleaned solvent
equipment
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Conclusion:
Assuming that there is no intention to impose more stringent yardsticks during API production
than in pharmaceutical production but that they should be approximately the same, the logical
conclusion is that the limits in chemical production should be set higher than in pharmaceutical
production. Based on this rationale, a factor of 5 - 10 compared to the established
pharmaceutical production limits is both plausible and, in terms of pharmaceutical risk,
acceptable.
Apparatus and equipment that is used for physical end-treatments such as drying, mixing or
milling may either be operated together with the previous synthesis equipment or generally be
used separately. During separate physical end-treatments of APIs, there is no decrease of
contaminants compared to the aforementioned chemical process. Consequently, we
recommend in this case that the calculation methods applied should be those normally used in
pharmaceutical production, (ADE, PDE, TTC for APIs preceded by APIs, LD50 with SF , 10
ppm,… for other changeovers of products). The Limits for carry over into the final API should
be the same as those calculated in the previous sections.
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Product A has a NOAEL50kg of 100 mg/day human oral dose. Uncertainty factors applied to
calculate the ADE are an UFS of 3 (extrapolation from an acute dose to sub chronic/chronic
dosing) and UFH of 8.13 (the inter-individual variability based upon a PK (kinetic component)
of 2.54 and PD of 3.2 (dynamic component)). The MF is 10 (extrapolation from a ‘generally
healthy’ population to a more susceptible sick patient population). Product B is an oral product
(PK = 1).
100 (mg/day)
ADE = ------------------------------------ = 410 (µg/day)
3 x 8.13 x 10 x 1
If product B is a parenteral product and the PK is 62.5 (based upon an oral bio-availability
study in human after parenteral).
100 (mg/day)
ADE = ------------------------------------ = 6.6 (µg/day)
3 x 8.13 x 10 x 62.5
A teratogenic product A has a LOAEL of 1 mg/kg.day human oral dose (BW is 50 kg).
Uncertainty factors applied to calculate the ADE are an UFL of 3 (extrapolation from LOAEL
to NOAEL), an UFH of 10 (the inter-individual variability) and a MF of 10 (severity of effect:
teratogenicity). Product B is an oral product (PK = 1).
1 (mg/kg.day) x 50 kg
ADE = ------------------------------------ = 167 (µg/day)
3 x 10 x 10 x 1
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Product A will be cleaned out. The product has an ADE of 2 µg and the batch size is 200 kg.
The next product B has a standard daily dose of 250 mg and the batch size is 50 kg. Calculate
the MACO for A in B.
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The level of cleaning required in order to ensure that the API is free from unacceptable
levels of contamination by previous substances varies depending on the step being
cleaned and the next substance being manufactured in the same piece of equipment
(train).
API`s and related intermediates are often produced in multi-purpose equipment with
frequent product changes which results in a high amount of cleaning. To minimize the
cleaning effort the concept of using different levels of cleaning as a function of the level
of risk related with the possible carryover may be applied without affecting the safety
of the API.
A general approach how these levels could be established for typical product changeover
situations in a multi-purpose API-plant is outlined in the figure below.
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0
Intermediate A - 3 Intermediate B - 3
0 0 0
Intermediate A - 2 Intermediate B - 2
0
0 0
1 or 2
Intermediate A - 1 Intermediate B - 1
1
1 or 2 0 or 1 0 or 1
2
Crude API A Crude API B
0 or 1 0 or 1
0 or 1 2 0 or 1
2 Physical Operations
Physical Operations
The levels established as shown in figure 1 are based on the approach that in general the
thoroughness of cleaning will increase and the acceptable carryover of the previous product
will decrease from early steps in the route of synthesis to the final API due to the fact that
early steps undergo further processing and/or purification and so the potential carry over will
be reduced by further processing. Physical operations, which mean e.g. powder handling such
as drying, sieving or milling obviously do not reduce the potential carry over. During the risk
assessment it should be taken in consideration that the residues may contribute to a
degradation of the next product’s quality or safety and ultimately have a detrimental effect on
the final consumer.
product is the starting material of the following manufacturing step and the analytical
methods applied for the following product are usually suitable to detect the previous
product which is covered and limited by the impurity profile.
• Easiness of cleaning
• Toxicological / pharmacological activity of the previous product, its side products
or degradants
• Maximum daily dose of the following product
• Microbiological growth
• Batch size of the following product
• Solubility, experience, difficult to remove previous product
• Chemical interactions
• Campaign lengths should be evaluated and determined as part of the risk
assessment.
Consideration should be given to any heels present and whether they need to be removed on a
regular basis.
Instead of the investigation of each individual cleaning situation, similar situations could be
grouped and classified using bracketing concepts (ref. section 7).
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The cleanliness status and validation of cleaning procedures is verified against pre-defined
acceptance criteria.
• visual inspection or
• visual inspection and analytical verification (e.g., swabbing and/or rinsing).
Visual inspection:
After cleaning procedures are performed, equipment should be dried to allow the visual
inspection. No residue should then be visible. Visual inspection should be performed using the
best known capabilities.
During visual inspection the following situations should be considered:
• Discoloured surfaces, worn or torn parts;
• Solid residues (for final product equipment used downstream of last filtration, the
residues should be evaluated also by passing the final washing through a rough filter
media (e.g. a lint-free cloth));
Analytical verification:
Analytical verification should be performed with scientifically sound methods.
The analytical methods should be validated before use in cleaning validation (see 5.3.2),
unless they are compendial methods (see chapter 8.2).
The cleaning validation involves a series of stages over the lifecycle of the product and cleaning
process: cleaning process design, cleaning process qualification and continued cleaning
process verification. Details on the work to be performed and acceptance criteria should be
defined in a protocol. The cleaning procedure can be prepared per equipment or set of
equipment and should include detail enough to reduce operator’s variability (see chapter 7.3).
The strategy should be defined and taken in consideration in the validation activities.
The validation consists in successive applications of the cleaning procedure complying with
the acceptance criteria defined, in a minimum of 3 successful applications. The success of the
applications should be consecutive unless the cause of failure is clearly identified as not related
to the process or procedure.
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Depending on the individual product changeover situation it may take some time to finalize the
cleaning validation with the third application (see chapter 8 bracketing and worst case rating).
In these cases, cleaning verification using validated analytical methods has to be performed in
the meantime.
At this stage analytical methods should be validated and suitable to quantify at the acceptance
criterion level. The limit of detection must be lower than or equal to the acceptance criterion
level. Blanks must be evaluated to ensure that there is no significant interference with the
recovery of the analyte. In dedicated facilities, validation of cleaning procedures is not
normally required but a risk assessment should be performed to make sure that there is no
potential for degradation and or microbial contamination that may adversely impact the quality
of the product.
For both dedicated and multi-product facilities, the frequency with which the cleaning
procedure should be performed should be validated to assess risks related to potential
degradation and microbiological contamination.
The validation of the Dirty Hold Time (DHT) should be an outcome of the cleaning validation.
Whenever the DHT is exceeded, analytical verification should be performed and the extension
of the DHT should be handled through change control procedure.
In this stage it should be demonstrated that the cleaning procedure works as expected. The
following activities are included among others: qualification of specific equipment used in the
cleaning such as Clean In Place (CIP) systems, cleaning operational parameters (e.g.
temperature, flow rates, pressure, etc.); identification of the most difficult cleaning locations;
training of operators.
In this stage it should be demonstrated that the cleaning process remains in control
throughout the product lifecycle.
The following should be considered in this stage: Post validation monitoring; Change control;
Periodic management review.
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After cleaning validation, the analytical verification may be omitted or replaced by simpler
analytical methods (e.g. conductivity; pH; etc.) that have proven to be suitable for the intended
use. However, visual inspection should be maintained in the dried equipment and no visible
residues should be observed.
The confirmation of the validation status should be performed periodically according to the
periodicity defined in the validation report.
Change control
Any change to the cleaning procedure, analytical methods, manufacturing process, equipment,
etc. during the execution of the cleaning validation protocol or after the validation is concluded
should be handling through the change control procedure in place in the organization. The
impact on the cleaning validation process should be evaluated.
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For automated cleanings, this should be ensured by the equipment design together with the
cleaning software, cleaning recipe and built-in control mechanisms.
1) The applied cleaning phases, for example once-through versus re-circulating versus
soak versus reflux-mode rinse/wash phases
2) The sequences of the cleaning phases
3) Time of each of the cleaning phases
4) Action applied during the cleaning process. Note that the mechanical action/impact is
often flow/pressure related (e.g. if spray balls are being used).
5) Used cleaning agents and/or cleaning solvents
6) The concentrations and/or quality of the used cleaning agents and/or cleaning solvents
7) Temperatures applied during the various cleaning phases
Because of the uncertainties on cleaning parameters, like a.o. flow, time, temperature, detergent
concentration and starting conditions (inclusive Dirty Hold Time and soiling), and the
geometric aspects of the cleaned system, the cleaning process is susceptible to variability/
spread. The mean effectiveness of the cleaning process together with its spread should be
adequately removed from the edge of failure of the cleaning process, which can be established
by performing the MACO calculations as discussed in the previous chapters. At minimum, the
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level of cleaning should support a cleaning result (including the spread) below the obtained
MACO level. Schematically, this can be depicted as:
Toxicological
Maximum Assessment,
Allowable including Safety
Carry Over Factors as
necessary
Available toxicity data,
e.g. NOAEL, MDD,
genotoxic potential?
The level of cleaning should be commensurate to the level of risk that the cleaning process
poses in relation to the related production processes. Notice that the cleaning risk can be further
reduced either by:
1) improving the cleaning cycle to improve cleaning effectiveness and shift the mean
cleaning result further away from the MACO level, which typically requires cleaning
development studies;
2) reducing process variability, which is typically established by increasing the level of
control on the cleaning process parameters. An improved level of control on cleaning
parameters such as flow, temperature and time, may not only result in more robust
cleaning processes with smaller process variability, but may also create cleaning
optimization opportunities (e.g. reduced chemical and water consumption).
For automated systems, the level of control can often be enhanced by applying in-line
measurements together with enhanced controlling capabilities. Improved monitoring
capabilities often results into enhanced cleaning process knowledge and may be used in a
Process Analytical Technology (PAT) framework.
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Where control measures cannot adequately assure that the potential contamination is
consistently controlled to a level below that of the HBEL then the products concerned should
be manufactured in dedicated facilities.
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The cleaning processes of multiple product use equipment in API facilities are subject to
requirements for cleaning validation. The validation effort could be huge. In order to minimize
the amount of validation required, a worst case approach for the validation can be used.
Validation of the worst case situation takes place. However, it is of utmost importance that a
documented scientific rational for the chosen worst cases exists.
This chapter gives an overview of the suggested work to be carried out, the acceptance criteria
and the methodology for evaluation of the data. It should be emphasized that this is only an
example to give guidance. The equipment, the substances produced and the procedures in place
may vary; and this results in other solutions than those given in this example.
The worst case rating priority will then support a conclusion that the cleaning procedures are
effective for all drug substances and other chemicals within the bracket, including those not
individually tested.
The objective of a bracketing project is for the company to demonstrate that it has a scientific
rationale for its worst case rating of the substances in the cleaning validation program. The first
thing to do is to make groups and sub groups - which we will term “bracketing”, from which
worst cases will later be selected based on the results from the rating. The bracketing procedure
should be included in a company policy, or an SOP or an equivalent document on cleaning
validation. A multipurpose facility, Clean Company, is presented as an example we will follow.
a) Equipment Train
The Clean Company is a multipurpose site for synthesis and isolation of organic substances
(see figure 1). It is divided into six equipment trains separated from each other and intended
for different use (earlier API steps, final API purification, drying etc.). In TrainA 9
substances can be produced, in TrainB 9 substances can be produced, in TrainC 8 substances
can be produced, in TrainD 8 substances can be produced, in TrainE 10 substances can be
produced, and in TrainF 11 substances can be produced. With no bracketing and worst case
rating, cleaning validation studies would be required for each of the 55 substances.
The first grouping criteria is that the substances in a group are produced in identical equipment
trains and cleaned out following the same cleaning procedure/SOP. The ideal with regard to
cleaning validation (as will be discussed in 7.3) each train could be considered as a group. Then
6 worst cases would ideally be identified. In reality, the number of worst cases identified will
often be something between these two extremes (more than 6, but less than 55).
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CleanCompany
Figure 1 CleanCompany’s ideal example (1 train considered as 1 group) gives 6 worst cases.
In this example the main classes in this bracketing are based on the different Trains. The
following equipment classes are maintained:
• TrainA
• TrainB
• TrainC
• TrainD
• TrainE
• TrainF
b) Substances
If the company has two or more trains used for the same purpose (such as earlier API steps,
final API purification, drying etc.) a choice of which products to be produced in each of the
trains used for the same purpose is done. The combination of substances (starting materials,
intermediates or APIs) in a train can be chosen based on one or more of the following strategies,
or combinations of them:
• Produce in the same train substances with the same cleaning procedure;
• Produce in the same train substances with very low therapeutic doses and/or
low batch sizes (and the opposite);
• Produce in the same train substances with very low ADE values (and the
opposite).
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Also, a choice of maximum flexibility can be used, but this could result in low limits for
residues (for example if the substance to be cleaned out has a very low ADE/PDE, and the
following substance has a small batch size and/or a very high daily dose) and thus longer
cleaning times. Advantages and disadvantages with several cleaning procedures, compared to
one cleaning procedure, will be discussed in section 7.3. More explanations on effects of
different strategies will be evident from section 7.4.
For one train, in which several substances are being produced, several cleaning procedures
often exist. In order to be able to defend the bracketing into groups, the second criterion is that
the same cleaning procedure (method) shall be used for the substances within a group.
Cleaning procedures (before change of products) can for example be considered to be the same
if:
1. Same or equivalent issued cleaning batch records/cleaning SOPs;
Advantages and disadvantages with several cleaning procedures, compared to one cleaning
procedure, are presented in the following table.
The same cleaning procedure for all substances (chosen to clean out the most difficult
substance)
+ Minimum number of cleaning - Not optimal cleaning procedures for
validation studies (perhaps only one) each substance → longer clean out
times on average as well as higher
consumption of solvents.
- Normally a low limit for residues
valid for all substances
Optimised cleaning procedures for each substance
+ Minimum clean out time on average - Maximum number of cleaning
validation studies (as many as there
are cleaning procedures)
In the example the Clean Company has evaluated the cleaning procedures. The cleaning
procedures have been examined and categorised into different classes. Substances in the same
class are cleaned in the same way, using the same solvents and usually exhibit some chemical
similarity with each other (e. g. salts, chemical structure etc.). In this example, totally, four
cleaning procedure classes are included:
- Class I water soluble substances.
- Class II methanol soluble substances.
- Class III acetone soluble substances.
- Class IV separate class for special substances with defined solubility
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A worst-case rating study/Risk assessment will prioritise existing drug substances, in a cleaning
validation program, based on information on applicable criteria chosen by the company. Clean
company chose the following criteria which are relevant to the molecule preparation in their
facility (companies should evaluate individual situations):
In order to present documented evidence supporting the scientific rating for each criterion,
investigations (a formalized Risk assessment) should be carried out and formal reports should
be written. For each criterion groups of rating with corresponding descriptive terms should be
presented. When available, the descriptive terms can be chosen from the scientific literature on
the subject (i.e. for solubility and toxicity). For other cases the rating is based on scientific
investigations carried out by the company and collecting experience regarding details on the
cleaning processes (i.e. "experience from production”).
Clean Company chose to execute the WCR according to a formal protocol, in which the rating
system was identified and the rating documented. In a Risk assessment report the results
including the WCR were summarised, as well as conclusions.
One criterion which can be used is, experience from production with regard to how difficult a
substance is to clean out. The study is recommended to be in the form of interviews with
operators and supervisors. A standardised sheet with questions could be used in which the
answers are noted. Hard-to-clean substances are identified and the difficulty of cleaning could
be rated according to the three categories suggested below. The opinions of the personnel are
subjective, and therefore should be supported by a scientific rationale.
Category: 1 = Easy
2 = Medium
3 = Difficult
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b) Solubility
A solubility-rating should be carried out based on the solubilities of the substances in the
solvents used for cleaning. Suggested rating numbers, with explanations, are presented in the
table below. The descriptive terms are given in [1] - page 53 - USP 24 under —Reference
Tables (Description and Solubility, 2254).
The Acceptable Daily Exposure or Permitted Daily Exposure define limits at which a patient
may be exposed every day for a lifetime with acceptable risks related to adverse health effects
(see chapter 4).
If ADE / PDE data are not available, other data may be used (see chapter 4).
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d) Therapeutic Doses
An investigation of therapeutic doses is typically based on oral and/or parenteral data. In the
cases where the therapeutic doses are not available, corresponding values based on the toxicity
could be used (recalculated according to company procedure). An example of rating numbers,
with explanations, are presented in the table below.
The substances are scientifically matrixed by equipment class (train/equipment) and cleaning
class (procedure). Each existing combination of the classes is considered as a group. When this
bracketing has been carried out, the - “Worst Case Rating (WCR)”- can start. For at least one
worst case in each group, cleaning validation studies shall be carried out. The rating procedure
for CleanCompany presented as an example could be used.
a) Rating Procedure
During a worst-case rating, the results of the investigations are summarised for each substance
in each equipment class. If the evaluation of the cleaning procedures indicates that some of the
substances have unique cleaning procedures, then each of those substances will be considered
as a group (with one group member which is the worst case).
If all the substances in a cleaning class (train/equipment) will be tested, then individual limits
may be used for each substance. In case of groups, where only some "worst cases" are tested,
the strategy described below shall be followed. The following methodology shall normally be
applied when a priority based on a worst case shall be used.
Evaluate if the lowest calculated limit is reasonable to apply on all substances. If that is the
case, this limit shall be valid as a common general limit for the specific equipment. If the lowest
limit is found to be too low as common limit for all substances, then the second lowest limit is
evaluated and so on.
1. For the substances with common, general limit, it is required that the substance
with the lowest solubility (in the cleaning solvent/solution) shall be tested for each
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cleaning method. If more than one substance fulfils this criterion, then the
substance shall be chosen which, based on experience is most difficult to clean.
2. Any substance which does not fall within this 'bracket' must be validated
individually.
b) Evaluation of Rating
The worst case rating can be executed according to an issued protocol in which the methods
and procedures for the rating will be identified. The applicable investigations presented in
section 7.4 a-d would then be used (and could be enclosed to the protocol or a report, to support
the rationales for the rating). A matrix system, for each equipment class (such as a dryer), can
be set up as evident from the following table where TrainA of CleanCompany has been chosen.
In this case a formal rating matrix has been filled in for TrainA. Altogether two cleaning classes
were identified for the substances produced in TrainA. All the categories are introduced as
columns in a matrix.
For the products in this train two cleaning methods (Class I and III) are used.
Therefore, two groups have to be validated.
The worst-case product (for the validation study) for class III is Osubstance (Solubility 2 and
Hardest to clean* 2.8).
The worst case product (for the validation study) for class I is Rsubstance (Solubility 2 and
Hardest to clean* 2.6).
In both cases the limit should be calculated with the most toxic substance (ADE/PDE 4).
If ADE / PDE data are not available, the limit should be calculated with the most toxic
substance determined by alternative methods, according section 4 (Alternative toxicity 4).
If the limit calculated with ADE / PDE 4 or Alternative toxicity 4 is achievable for all products,
this limit can be chosen for both groups.
If the limit calculated with ADE 4 or Alternative toxicity 4 is too low and not achievable for
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all products, Esubstance and Fsubstance should be considered as separate groups or produced
in dedicated equipment.
The limit for the remaining group should be calculated with the next most toxic substance
(ADE / PDE 3 or Alternative toxicity 3).
In case a substance of top priority is not produced regularly, the substance with the second
highest priority will be tested in order to show that the cleaning procedure is sufficient for all
the other substances in that class. The substance of top priority will then be tested at the first
possible occasion.
The WCR/Risk assessment could typically result in a report including a priority, based on the
rating, for the substances in the cleaning validation program. It is recommended that the
applicable background investigations shall be completed, approved and enclosed to the
cleaning protocol or the report.
c) Re-rating
Change control should be applied to the WCR. If the conditions for the rating are changed, then
a re-rating procedure should be carried out. The following listing gives examples where a
formal re-rating procedure may be required:
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This section provides a practical guidance for the determination of the amount of residue in
cleaned equipment based on the requirements from regulatory authorities5 and current
guidelines on analytical validation.6 Specific requirements for the validation of analytical and
sampling methods for cleaning validation purposes are provided in this section, in addition to
examples of sampling methods and the appropriate use of analytical methods.
The carryover acceptance limit (Mper or Permitted Carry Over) is a calculated figure that
represents the specification limit for the equipment cleanliness (see Section 4.0, Acceptance
Limits), however, the determination of the actual amount of residue (M or Carry Over)
remaining in the equipment following cleaning must be achieved using appropriate methods
i.e. for both the sampling method and the quantitation of the contaminant in the sample.
Since the decision on the acceptable cleanliness of the equipment bears a potential risk to
product quality, the method(s) used for the determination of M must be validated1 and the
specificity, sensitivity and recovery of the method(s) should be determined as a minimum.
8.2.1 General
The requirements for analytical method validation are defined in ICH Q2(R1), Validation of
Analytical Procedures: Text and Methodology, November 2005. There are four types of
analytical methods with principally different validation requirements; these are identification
tests, tests for impurities (both quantitative and limit tests) and assay tests. The validation
requirements for each method type are shown Table 1.
The list should be considered typical for the aforementioned analytical procedures; however,
exceptions should be dealt with on a case-by-case basis. It should be noted that robustness is
not listed in the table and should be considered at an appropriate stage in the development of
the analytical procedure.
In practice, it is usually possible to design the experimental work such that the appropriate
validation characteristics can be considered simultaneously to provide a sound, overall
knowledge of the capabilities of the analytical procedure, for instance; specificity, linearity,
range, accuracy and precision.
5
FDA Guide to Inspections Validation of Cleaning Processes, http://www.fda.gov/ICECI/Inspections/InspectionGuides/ucm074922.htm
6
ICH Q2 (R1), Validation of Analytical Procedures: Text and Methodology, November 2005
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The requirements for ‘Testing for Impurities’ are typically employed for the validation of
analytical methods specific to cleaning validation.
The requirements for ‘Quantitative Testing for Impurities’ can apply, for example, in cases
where a method should be suitable for several possible acceptance limits and therefore
quantitation of the residue over a certain range may be necessary e.g. the measured amount of
residue M must be compared with acceptance limits between 5 and 750 g/equipment. This is
possible when the method will be used for several changeovers.
The requirements for ‘Limit Testing for Impurities’ can apply, for example, in cases where the
method should be suitable for one specific acceptance limit e.g. the measured M must be
compared with Mper ≤ 105 g/equipment.
In the following sections, aspects of analytical method validation specific to cleaning validation
are emphasised. For further details refer to ICH Q2 (R1).
Specificity is a basic requirement for all analytical methods (see Table 1), however, in the case
of cleaning validation it may occur, that not all potential impurities are clearly specified. It is
important to note that in such a situation a specific method may not always detect all
impurities. Studies should be performed to characterise the unknown impurities, develop and
validate suitable analytical methods. However, this can be an unacceptably time consuming
task. In this case a method that detects all potential impurities together can be suitable, even
when it is not specific for each of the impurities. For example, in a situation where only non-
volatile impurities occur, a dry residue determination method that is specific for the sum of
non-volatile impurities could be used, provided that the validation requirements according to
Table 1 are satisfied. In order to consider the equipment acceptable for use it must be assumed
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that the dry residue consists of the worst case impurity (most toxic, most active etc.). In some
cases a combination of several methods can achieve the necessary specificity.
After the completion of a cleaning validation study an unspecific method (e.g. dry residue) may
be used for the routine verification of equipment cleaned by the validated cleaning procedure
provided that it is shown that the unspecific method is suitable for the intended purpose. If
possible, the sensitivity of impurity detection for cleaning validation should be determined for
both the sampling and analytical methods together (see Section 7.2.4).
Measured values below limit of quantification (LOQ) should be reported as the LOQ value
(worst case approach). For example, if the LOQ is 10 mg/l, the measured blank is 7 mg/l and
the measured residue amount is 3 mg/l, the reported value for the sample should be equal to
the LOQ i.e. 10 mg/l.
Usually it can be assumed that, for quantitative impurity determination, the LOQ should
approximately be 0.5 of the specification i.e. for cleaning validation 0.5 of the acceptance limit
or lower. LOQ should never be higher than the acceptance limit. In the following sections three
methods of LOQ/LOD determination are outlined:
• Based on Visual Evaluation
Visual evaluation may be used for non-instrumental methods but may also be used with
instrumental methods. Frequently this approach is used for TLC.
• Based on Signal-to-Noise Approach
This approach can only be applied to analytical procedures which exhibit baseline noise (e.g.
GC, HPLC). A signal-to-noise ratio (S/N) between 3 or 2:1 is generally considered acceptable
for estimating the detection limit (LOD) and a typical ratio for acceptable quantitation limit is
10:1 (LOQ). The value for S/N can be calculated according to Equation 1 and Figure 1:
(𝟐 × 𝐇)
Equation 1:
𝐡𝐧
where: H is the height of the peak from the mean baseline.
hn is the maximum deviation of the baseline within the range of
5 to 20 fold width of peak at half height.
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If possible, the recovery of impurity detection for cleaning validation should be determined for
the sampling and analytical methods together at least for recovery and sensitivity (Limit of
Quantitation - LOQ, or Limit of Detection - LOD). This can be achieved, for example, by
spiking a surface equivalent to the equipment surface (e.g. material, polish grade) with different
known amounts of the impurity. The impurity can then be recovered and analysed using the
same sampling and analytical methods that will be used for the cleaning validation study. The
overall results from this procedure are then compared to criteria for detection or quantitation
limits as defined in ICH Q2 (R1). Validation of the limits may be achieved by the analysis of
samples known to be near at the limits.
The measured results are then compared to the actual amount applied to the surface. The
recovery is typically determined during the accuracy determination and should be reported as
a percentage of the known applied amount of the impurity.
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The requirements for the validation of quantitative testing of impurities according to ICH Q2
(R1) are shown in Table 2, including proposed acceptance criteria (as an example only).
Alternative acceptance criteria may be established based on sound scientific rationale.
It is important to note, that the summarised requirements should be used for the validation of
quantitative testing for impurities during cleaning validation studies. Validation of quantitative
testing for impurities is usually applied when the analytical method will be used for several
specifications of the residue amount in the equipment.
The lowest foreseen acceptance limit is referred to as MperMin (or Minimal permitted Carry
Over) and the highest limit as MperMax (Maximal permitted Carry Over) in Table 2. For only
one specific acceptance limit normally limit testing for impurities and the corresponding
validation of the analytical method is sufficient. If the validation of quantitative testing for
impurities will be used for one specific acceptance limit, then MperMin = MperMax = Mper.
For the experimental work described in Table 2, the samples can be spiked with appropriate
levels of the impurities (when standards are available) or compared with another well-
characterised procedure (when standards are not available) to obtain the true value of the
analyte concentration.
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In order to demonstrate that the plant equipment is verified clean and meets the pre-defined
acceptance criteria, sampling and analysis should be carried out using the methods described
in the following sections. Justification should be provided for the selection of the appropriate
verification technique on a case by case basis. A combination of the two methods is generally
the most desirable. For all methods the sampling points should be fixed in a manner such that
the true contamination of the equipment will be reflected.
Swab sampling of the direct surface is designed to test small sections of the equipment surface
for the presence of residues. Samples should be taken from all main equipment items and since
swab sampling does not cover the entire equipment surface area, justification should be
provided for the choice of the area for swabbing.
Typically, a small area of the cleaned equipment is swabbed with a material according to a pre-
defined method i.e. swab material, solvent and technique. The swab sample can then be
extracted and examined using a suitable analytical method.
The quantified residue obtained from the sample is then extrapolated to the whole equipment
(see Equation 6).
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It is important:
• That the validation of the swab sampling is performed on the same surface
(material, polish grade, area in dm2) and with the same materials as the routine
sampling of the equipment.
• That the choice of swabbing material considers extractable materials that could
interfere with the expected residue.
• To ensure that the sampling points represent the true worst case areas of the
equipment. Also, an approach dividing a piece of equipment in several segments
having their own specific recovery rate may be chosen.
The disadvantage of this sampling method for often complex API equipment is that difficult to
reach areas (e.g. sealings, condensers, transfer pipework) may not be accessible by swabbing.
Nevertheless, these areas may be the critical areas for the determination of the amount of
residue in the equipment.
𝟏 𝐌 /𝐅 𝟏 (𝐂 − 𝐂 ) /𝐅
Equation 6: 𝐂𝐎 = ( ) × [𝐅𝐭𝐨𝐭 × ∑ ( 𝐢 𝐢 )] = ( ) × [𝐅𝐭𝐨𝐭 × ∑ ( 𝐢 𝐁𝐢 𝐢 )]
𝐖𝐅 𝐍 𝐖𝐅 𝐍
The first production batch of the following product may be sampled and analysed for impurities
(for preceding product) since chromatographic analytical methods will typically be used (e.g.
HPLC, GC, TLC).
In cases where swabbing is not possible, for example restricted access, swabbing may be
substituted by the analysis of final rinse solutions. Rinse samples can be used to determine the
carryover of residues over a large surface area and cover all main process items including
transfer pipework. In cases where swab sampling is not practical, it is acceptable to analyse
only rinse samples, however this should be justified as part of the validation study.
This section outlines the quantitation of the amount of residue remaining in the equipment after
cleaning based on the amount of residue in the last rinse of the routinely used cleaning
procedure.
The residue amount in the equipment can be assumed to be equal to the amount of residue in
the last wash or rinse solvent portion. The assumption is based on the worst case consideration
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that a further rinse (or any reaction) would not remove more than the same amount of residue
present in the analysed rinse sample. Recovery studies of the rinse sampling can also be
performed.
The advantage of the rinse sampling method is the whole equipment will be reached by the
solvent, including difficult to reach locations that cannot be disassembled. Therefore, if
appropriately designed, this method will give the best indication of the amount of residue
remaining in the equipment.
For quantitation, a solvent sample (e.g. 1 litre) is removed and the residue in the sample is
determined by a suitable analytical method, which can then be extrapolated to the whole
equipment according to Equation 5.
8.3.3 Stamps
In this exceptionally used sampling method, “coins” (or stamps) are placed on appropriate
sampling points in the equipment during the manufacture of the previous product and
during cleaning. After cleaning, the contamination on the coins can be analysed and the
overall contamination can be calculated by extrapolation to the whole equipment. For
quantitation, the coins may be firstly swabbed followed by further analysis of the samples.
A sample isolated by either of the sampling methods discussed in Section 8.3 should be
analysed by a suitable analytical method (e.g. HPLC, GC, GC-MS, TLC, dry residue, TOC,
UV, titration, conductivity or pH). The suitability of the method can be documented by
appropriate validation as detailed in Section 8.2.
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DATE:_____
REVIEWED BY (DEPT.) : ____________________________
DATE:_____
APPROVED BY (DEPT.) : ____________________________
DATE:_____
APPROVED BY (DEPT.) : ____________________________
APPROVED BY (DEPT.) : ____________________________ DATE:_____
TITLE:
PROTOCOL NO:__________________________________
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TABLE OF CONTENTS
9.1 Background
9.2 Purpose
9.3 Scope
9.4 Responsibility
9.5 Sampling procedure
9.6 Testing procedure
9.7 Acceptance criteria
9.8 Training
9.9 Deviations
9.10 Revalidation
9.1 Background
9.2 Purpose
The purpose of this study is to demonstrate that remaining product residues previous
in a piece of equipment are always within the established acceptance criteria if the
equipment is cleaned by a defined cleaning method.
9.3 Scope
A visual test and a chemical evaluation of the equipment will be performed after a
clean to demonstrate that product residue(s) (active ingredient, intermediates and / or
excipients) and cleaning agent residues (exclude solvents used in process) have been
removed to levels within the acceptance criteria.
At least a visual revision of the working areas will be performed to minimize the risk
of cross contamination that results from e.g. contamination on the surface of the
process room.
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In order for the cleaning procedure to be deemed valid, all data generated during the
study should be within the acceptance criteria detailed in section 9.7 of this protocol.
A report will be written assessing the data generated and thus determining the validity
of the cleaning process.
The equipment should not be used to process another product until clearance
indicating that the equipment is adequately clean has been received from the
validation department in accordance with process transfer SOP AAA (or detail
whatever system is in-place to ensure that equipment is not used).
9.4 Responsibility
The responsibility for completion of this study lies as follows (for example):
Remove swab and rinse samples from the equipment as detailed in section 8.3 of
this guidance document.
SWAB SAMPLES:
See attached equipment sampling diagram (It is important to show clearly where the
sampling locations are). Definition of sampling locations should be based on a Risk
Assessment.
Swab samples should be removed according to swabbing procedure SOP BBB (or if
there is no SOP in place describe in the text the validated sampling technique for the
QA sampler).
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Samples should be removed from the locations on the equipment deemed to be ‘worst
case’ i.e. most difficult to clean locations and therefore where product is most likely
to reside if cleaning has not been adequate. It is important that these locations have
been determined scientifically and can be rationalised if necessary.
RINSE SAMPLES:
Rinse samples should be removed according to procedure SOP CCC (or if there is no
SOP in place describe the sampling technique for the QA sampler).
The volume of liquid used to rinse the equipment should be detailed (volume must be
shown to be sufficient to cover all product contact surfaces of the equipment). The
volumes of the rinse samples should also be stipulated in the protocol.
MICROBIOLOGICAL TESTING
See attached equipment sampling diagram (It is important to show clearly where the
sampling locations are)
Microbiological test samples should be removed according to procedure SOP DDD
(or if there is no SOP in place describe the sampling technique for the QA sampler).
All sampling details (swab, rinse and microbiological) should be referenced in Table
Samples should then be sent to the QC department for analysis. Any relevant
sample transfer conditions should be noted.
Note the limits of quantitation and detection as well as the % recovery for the tests
being performed.
All data generated should be attached to this study and returned to the Validation
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The swab / rinse sample acceptance criteria for product and cleaning agent residues as well
as the microbiological test acceptance criteria should be detailed along with a rational for
the figures quoted.
(Unlike product residues, it is expected that no (or for ultra-sensitive analytical test methods
- very low), detergent levels remain after cleaning. Detergents are not part of the manufacturing
process and are only added to facilitate cleaning. Thus, they should be easily removed.
Otherwise a different detergent should be selected.)
Reference: Please see chapter 4 of this guidance document for examples of calculating
acceptance criteria.
In addition, a sample calculation detailing how the residual levels of active ingredient /
cleaning agent for the entire equipment are computed should be given.
POINTS TO CONSIDER:
Surface area calculations should be performed, verified and kept on file for all equipment
evaluated (photos may be incorporated into the protocol to ensure samples are taken from the
correct position).
When the worst case result recorded is less than the limit of quantitation but greater than the
limit of detection for the test method, the value denoting the limit of quantitation should be
used to perform the calculations.
When the worst case result recorded is less than the limit of detection for the test being
performed the value denoting the limit of detection should be used to perform the calculations.
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9.8 Training
The personnel involved in cleaning, sampling and testing of processing equipment should be
effectively qualified in the relevant procedures.
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9.9 Deviations
Please indicate whether deviations occurred during the completion of this Validation Protocol
and give details especially with regard to impact on the effectiveness of the cleaning
validation and with regard to corrective and preventive actions.
9.10 Revalidation
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(this test might be omitted for the drying equipment, in this instance we have
a pure API or intermediate and typically no potential for side products,
degradation, etc.)
When the analytical result does not meet the acceptance criteria an
investigation to determine the possible root cause should be performed. If
needed re-training of the operators should be performed and/or adjustment of
the cleaning procedure to solve the issue.
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Question 7: Is it necessary for companies to validate a maximum time allowed for a piece
of equipment to be dirty before cleaning?
Advice: Companies should have SOPs in place, which require cleaning to be performed
immediately after production has stopped. This scenario should be validated.
However, if for some reason immediate cleaning is not always possible, companies
should consider the effect of time on the material deposited on the equipment. It
may be possible to ‘Group’ or ‘Bracket’ products and validate a worst case
scenario.
Question 8: Is it necessary for companies to validate a maximum time allowed for a piece
of equipment to be left clean before re-use?
Advice: Companies should have SOPs in place to ensure that pieces of equipment are
adequately protected from any contamination after cleaning has taken place i.e.
ensure that the equipment is adequately covered, closed from dust etc.
If the company feels that there is any risk of contamination during ‘idle time’ after
cleaning, validation should be considered.
Question 9: Is it necessary to establish time limits for cleaning if equipment is not used
frequently?
Question 10: What is the maximum time allowed after cleaning with water as last rinse?
Advice: Equipment should not be left with water in it after cleaning. The last step of the cleaning
procedure involve drying with solvent or flushing with Nitrogen, thus ensuring that there
is no opportunity for microbial growth.
Question 11: Is it possible that a deterioration of equipment may take place over time, thus
invalidating the original validation results?
Question 12: If a company has validated a worst case scenario (grouping or bracketing
regime), should they also need to validate a ‘less’ worst case?
Advice: When grouping products and determining worst case situation scenario for
validation, companies should determine whether or not the worst case being
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Advice: While it is not a requirement of ICH that cleaning validation be performed during
development phase the following should be considered:
If the equipment being cleaned after the development product in question is used to
manufacture commercial product or product for human use for example clinical
trials, it is essential to verify the appropriate cleanliness of the equipment prior to
re-use.
Development of the Cleaning procedure for the product should take place at
development phase for validation when the product becomes commercially
available. The cleaning procedure validation should be performed or at least
should start with the process validation campaign.
Yes, if the following product needs to have a low microbiological load, also
depending on the cleaning agent used, if there is any risk for microbiological
contamination of the subsequent product (e.g. if water is used for final cleaning).
Question 16: Which analytical methods should be used in cleaning validation studies (is only
HPLC -testing acceptable?) and to which extend should these methods be validated?
Any analytical method suitable for its intended use could be used. In general limit
tests are performed in cleaning validation studies which result in less stringent
validation requirements. (as outlined in ICH-Q2A and Q2B).
However, if a company decides to validate analytical methods, suitable for the
determination of the residue over a certain range (e.g. decay-curve, to prove the
success of cleaning during proceeding of a defined cleaning procedure consisting
of individual cleaning steps) also less stringent validation requirements for e.g.
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Question 17: Do we have to wait for swab and rinse samples to be approved prior using
the equipment for production?
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11.0 REFERENCES
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12.0 GLOSSARY
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All documents and information contained in this guidance document are the property of the
Active Pharmaceutical Ingredients Committee. Users of this document may use information
contained therein only for personal use. No other use, including reproduction, retransmission
or editing, may be made without the prior written permission of the Active Pharmaceutical
Ingredients Committee*.
We have tried to make the information on or linked to this paper as accurate and
useful as possible. However, we can take no responsibility for misinterpretations of
the information contained in it.
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