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Quality by Design

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Concepts of QbD have been in use by industry for many years ... ICH Q8 concepts still being integrated by Field. Field often expects full design space validation ... – PowerPoint PPT presentation

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Title: Quality by Design


1
Quality by Design Question-Based Review
Observations by the Generic Pharmaceutical
Industry
  • Advisory Committee for Pharmaceutical Science
  • October 5, 2006
  • Gordon Johnston
  • Generic Pharmaceutical Association

2
Outline
  • Introduction
  • Quality by Design
  • Question-Based Review
  • Summary

3
Introduction
  • QbD/QbR
  • Requires significant changes to cross-functional
    coordination within firms
  • Shift to QbR content represents a major change
  • Cautiously optimistic
  • A steep learning curve for industry
  • Conversion to CTD format
  • Aggressive implementation schedule by FDA
  • 800 ANDAs expected in CY 2006
  • Increased burden for industry

4
Quality by Design
  • Extensive manufacturing expertise in the industry
  • Generic firms often manufacture 50 - gt100
    products
  • Product and process understanding is critical for
    efficiency
  • Concepts of QbD have been in use by industry for
    many years
  • QbD represents a more organized and integrated
    approach to product development

5
Quality by Design
  • Opportunities
  • Value in prior knowledge
  • Extensive experience with common formulations
  • Excipient properties well understood
  • Critical attributes impacting manufacturing
    process known

6
Quality by Design
  • Opportunities (contd)
  • Keen knowledge of equipment and common
    manufacturing processes
  • Blending, coating, etc.
  • Potential for reduced review time
  • Potential for reduced post-approval burden

7
Quality by Design
  • Are QbD expectations clearly defined?
  • GMP implications?
  • Experience to date is mixed
  • ICH Q8 concepts still being integrated by Field
  • Field often expects full design space validation
  • Prior knowledge not universally accepted by
    investigators at this time

8
Quality by Design
  • Should FDA modify its focus?
  • Generic industry still required to accept FDA
    dissolution specifications
  • Continued requirements to set specifications
    typically based on process capabilities and not
    product performance
  • For example, residual solvents
  • More guidance on non-oral dosage forms needed

9
Question-Based Review
  • Represents a tool to efficiently assess QbD
    approach
  • Industry is supportive of the initiative
  • Industry and OGD still learning

10
Question-Based Review
  • OGD Model QOS
  • 2 years in the making
  • Open dialogue between OGD and generic industry
    during evolution
  • OGD responsive to QA sessions

11
Question-Based Review
  • OGD Model QOS
  • OGD-industry collaboration has accelerated
    industrys understanding of QbR
  • Ongoing communication critical during full
    implementation

12
Question-Based Review
  • OGD Model QOSs
  • Help industry recognize issues OGD generally
    considers critical
  • Guide industry toward quality by design
  • Assist industry to prepare a high quality QOS

13
Question-Based Review
  • OGD Questions
  • Allow industry to address some questions with
    prior knowledge
  • Industry has been active in submitting QbR
    applications
  • Over 35 ANDAs
  • First ANDA Approval last month

14
Question-Based Review
  • Challenges
  • Simultaneous conversion to CTD format and QBR
    data elements
  • Implementation schedule has been challenging for
    some companies
  • Some companies have been submitting QbR
    applications since this summer
  • Substantial internal training and coordination
    required for implementation

15
Question-Based Review
  • Challenges
  • Still uncertain on OGD expectations for QOS and
    product development reports
  • Oct 20 OGD training on how to prepare a high
    quality QOS
  • Initial response is very positive
  • More OGD training if needed

16
Question-Based Review
  • Recommendation
  • Post-approval reduction in regulatory burden?
  • Industry requests clarity on types of supplements
    where regulatory burden may be downgraded
  • Extending QbR concept to already approved
    products (gt8000)?
  • Extending QbR concept to drug substance DMF

17
Summary
  • Excellent communications by OGD
  • Numerous meetings, webcasts, teleconferences
    during development phase of QbR
  • Ongoing industry-OGD communications critical
  • Increased burden

18
Summary
  • Need to expand QbR to already approved ANDAs and
    drug substance DMF
  • Post-approval regulatory relief a critical
    outcome of initiative
  • Industry remains cooperative and hopeful
  • Reassess in a year
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