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Validation of Computerized Laboratory Systems

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Title: Slide 1 Author: Ludwig Huber Last modified by: Ludwig Huber Created Date: 7/23/1999 5:55:13 AM Document presentation format: Overhead Other titles – PowerPoint PPT presentation

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Title: Validation of Computerized Laboratory Systems


1
Validation of Computerized Laboratory Systems 
RACI Conference - Chemical Analyses
Dr. Ludwig Huber Ludwig_huber_at_labcompliance.com
2
Overview
  • FDA/EMA GxP and ISO 17025 requirements
  • Recommendations from industry task forces
  • Validation steps with examples for all validation
    phases from setting specifications to reporting
  • Leveraging supplier support for highest efficiency

Validation and use of Cloud Computing in
regulated areas?
3
FDA GMP (211.68)
  • (a) Automatic, mechanical, or electronic
    equipment or other types of equipment, including
    computers, or related systems that will perform a
    function satisfactorily, may be used in the
    manufacture, processing, packing, and holding of
    a drug product.
  • If such equipment is so used, it shall be
    routinely calibrated, inspected, or checked
    according to a written program designed to assure
    proper performance. Written records of those
    calibration checks and inspections shall be
    maintained

Calibration, inspection, routine checks
Calibration records
Written program
4
US FDA 21 CFR Part 11- Electronic Records,
Electronic Signatures -
US FDA
  • 11.10 (a)
  • Computer systems should be validated to ensure
    accuracy, reliability and consistent intended
    performance
  • Guidance Scope and Applications
  • We recommend that you base your approach for
    validation on a justified and documented risk
    assessment and a determination of the potential
    of the system to affect product quality and
    safety, and record integrity.
  • For instance, validation would not be important
    for a word processor used only to generate SOPs


5
FDA Warning Letter/483/EIR
  • During the inspection, I asked if the computer
    software has been validated. I was told that the
    software was validated by the manufacturer.
  • The managing director provided me a copy of the
    letter the received from (the vendor). The letter
    indicated that the software was validated.
  • I told the managing director I still need to see
    what they have done to validate the system since
    the computer was making a decision to accept or
    reject potential donors. (www.fdawarningletter.com
    , W-191)

No validation at user's site
Validate computer systems at the users site
6
FDA Warning Letter/483/EIR
  •  Failure to adequately validate computer software
    used in an automated process for its intended use
    according to an established protocol, as required
    by 21 CFR 820.70(i).
  •  For example, no person from your firm reviewed
    or approved the third party approval test results
    for the original "redacted Complaint System
    Validation" used in your firm's quality system.
    (www.fdawarningletter.com, W-210)

3rd party validation results not reviewed
User firm should always review validation results
7
FDA Warning Letter/483/EIR
  • No IQ, OQ or PQ has been performed throughout the
    life of the system. No validation reports have
    been generated historically (for the legacy
    system).
  • The (system) has not been maintained under
    established procedures for change control. This
    is true throughout the life of this software
    application. (W-190)

Legacy System not validated and controlled
Develop a procedure for validation and change
control of legacy system.
8
FDA Warning Letter/483/EIR (2012)
  • There are several instances of incomplete
    qualification of equipment and incomplete
    laboratory data
  • We recommend that you seek the advice of a
    third-party consultant for assistance with a
    complete evaluation (W-276)

Laboratory Equipment Qualification incomplete
FDA Recommends 3rd Party Consultant for Lab
Equipment Qualification
Reference www.fdawarningletter.com
9
FDA Warning Letter/483/EIR
  • User access levels for the redacted software
    were not established and documented. Currently,
    laboratory personnel use a common password to
    gain access to the system and there are no user
    access level restrictions for deleting or
    modifying data. (W-198)

Group Rather than individual passwords
Assign unique user ID for each person
Reference www.fdawarningletter.com
10
FDA Warning Letter/483/EIR
  • Data security protocols are not established that
    describe the user's roles and responsibilities in
    terms of privileges to access, change, modify,
    create, and delete projects and data (242)

Roles and Responsibilities not Established
Develop a list with roles and responsibilities
for functionsImplement and validate the
procedures
Reference www.fdawarningletter.com (242)
11
FDA Warning Letter/483/EIR
  • Your firm's review of laboratory data does not
    include a review of an audit trail or revision
    history to determine if unapproved changes have
    been made.. (229)
  • Deviation Missing Review of Audit Trail
  • Root cause (assumed for the purpose of this case
    study) No procedure for formally review
    electronic audit trail
  • Corrective action to correct the existing
    violationDevelop and implement procedure for
    reviewing e-audit trail by QA
  • Preventive actionsApply procedure to other
    computer systems that record e-audit trail.

Electronic audit trail not reviewed
Reference www.fdawarningletter.com (229)
12
Data Checks
  • Built-in checks for correct and secure entry and
    processing of data
  • Additional check on accuracy for critical data
    entry
  • By second operator
  • By validated electronic means
  • Criticality and potential consequences of
    erroneous or incorrectly entered data covered by
    risk management

13
Printouts
  • Clear printed copies of electronically stored
    data
  • For records supporting batch release
  • Print-outs should indicate if any of the data has
    been changed since the original entry (audit
    trail)

Abs

reprocessed
time
14
Audit Trails
  • System audit trail should be considered for
  • Creation
  • Change
  • Deletion or records
  • Reason for change
  • Audi trail records should be convertible to a
    generally intelligible form
  • Audit trail records should be regularly reviewed
  • Include this as checklist item in batch record
    review

Risk Based
Announce random audit trail review
15
Computer System Validation Official Guidelines
  • USP lt1058gt Analytical Instrument Qualification
    (Category C) (2008)
  • PIC/S Good Practice Guide Using computers in GxP
    environments (2003)
  • Japan MHLW Guideline on Management of
    Computerized Systems for Marketing Authorization
    Holders and Manufacturers of Drugs and
    Quasi-drugs
  • GAMP 5 (2008)A Risk based approach to Compliant
    GxP Computerized Systems
  • GAMP Good Practices Guide (2012)A Risk based
    approach to GxP Compliant Laboratory Computerized
    Systems

PIC/S Pharmaceutical Inspection Cooperation
Scheme
16
GAMP 5A Risk Based Approach to Compliant GxP
Computerized Systems
  • Reference document for computer system validation
  • Referenced in FDA and PIC/S Guides
  • Uses V-lifecycle model, risk based approaches
  • Defines four software categories (down from 5)
  • Supplemented by Good Practices Guides for
    specific applications (lab systems, testing, data
    archiving)

GAMP Good Automated Manufacturing
PracticeOrder from www.ispe.org
17
GAMP A Risk based approach to GxP Compliant
Laboratory Computerized Systems
  • Key concepts
  • Product and process understanding
  • Draw process and data flow
  • Lifecycle approach within a quality management
    system
  • From system conception to retirement
  • Scalable system lifecycle
  • Based on complexity, novelty, system impact on
    patients
  • Science based quality risk assessment
  • Focus on critical aspects of system
  • Leveraging supplier involvement
  • E.g., through documentation (specs), testing,
    consulting
  • Calibration of laboratory systems

18
Comparison GAMP Guide vs. USP 1058
Software
  • GAMP Lab Guide
  • Flexible and scalable lifecycle approach
  • Describes 3 systems with different complexity,
    mainly with computers connected to equipment in
    one or the other way,
  • Focus on risk assessment for all validation
    phases
  • Uses the term verification
  • Very detailed for system validation
  • USP lt1058gt
  • Fixed lifecycle approach, with flexibility in
    each phase
  • Describes 3 instrument categories, ranging from
    simple equipment such as mixers to complex
    computer systems
  • Uses the term qualification
  • More like a frame work than details for AIQ

Hardware
19
InstrumentSystem Categories
GAMP Lab Guide
Simple Systems
Computerized HPLC - Mass spectrometers
Standalone BalancespH meters
Standalone Balances
Magnetic StirrersVortex Mixers
Medium Systems
Computerized LC-MS
Complex Systems
Full qualification
Verification with specifications
Visual inspectionMay not require formal
qualification
Networked Systems
USP lt1058gt
20
Computer System Validation GAMP Cat 4
  • User requirement specifications
  • Functional/config. specifications
  • Vendor qualification

Design Qualification
  • Configuration design
  • Configuration implementation

Configuration
Validation Plan
Validation Report
  • Check arrival as purchased
  • Check proper installation of hardware and
    software

Installation Qualification
  • Test of configuration specifications
  • Test of functional specifications
  • Test of security functions

Operational Qualification
  • Test for user requirement specifications
  • Preventive maintenance

Performance Qualification
21
Recommendations for Implementation
  • Start with a concept e.g., define business
    needs, processes, potential solutions
  • Make a plan with time table, owners and
    deliverables
  • Write specifications and compare with vendor
    specifications, design review for configurable
    systems
  • Conduct risk assessment
  • Select and qualify the supplier
  • Verify and document installation
  • Test for suitable operation
  • Check and document ongoing performance
  • Write a summary report
  • Formally release
  • Keep changes under control

Available throughwww.labcompliance.com/agilent
22
Step 1 Make a Plan
  • Background, why will there be a new system
  • System description
  • References, responsibilities
  • Steps/approaches for validation
  • Vendor assessment
  • IQ, OQ, PQ (
  • Change control and revalidation
  • Training
  • Schedule
  • Contents of validation report andother documents

Attachments
23
Validation Plan Template
Cost effective
Purpose of the Plan
Product Description
Validation Strategy
Responsibilities (position)
Supplier Assessment
Risk assessment
Testing Strategies and reporting
DQ
IQ
OQ
PQ
Traceability matrix
Procedures
Approval
Documents and control
24
Step 2 Define Requirements
  • Intended application
  • Intended environment
  • Computer environment
  • Laboratory
  • User requirements
  • Operating systems
  • Networks
  • Compatibility with other systems
  • Functions to perform applications
  • Functions to comply with regulations(Annex 11,
    Part11)

Verify with the vendor if requirements are met
25
Example RS for e-Audit Trail
Req. ID Requirement Critical TestPriority Test ID
12.01 Data system should have computer generated, time-stamped audit trail to record the date and time of operator entries and actions that create, modify, or delete electronic record high high T24
12.02 The system should allow optional entry of the reason for a change high high T25

26
Step 3 Qualify the Suppler
Cost effective
  • Purpose determine the adequacy of the suppliers
    quality system
  • Types of assessment- Preliminary assessment
    (questionnaire, postal audit)- Detailed on-site
    audit (quality system, process, product)
  • Extent of the assessment depends on- criticality
    of the system, complexity- risk to data
    integrity associated with use of the system-
    ability to verify system functionality in the lab
  • Can reduce in-house testing through tests done by
    the supplier

Leverage supplier tests
27
Document Vendor Selection
Requirements Results Passed
1) Company ? yes ? no
Experience with the vendor ? yes ? no
Recognition in the market place
2) Quality Assurance
ISO Certification ? yes ? no
Documented software development ? yes ? no
3) Product functions (provide detailed list) ? yes ? no
4) Services and Support
Provide specifications list ? yes ? no
Installation service ? yes ? no
IQ/OQ services ? yes ? no
Phone and onsite support ? yes ? no
Cost effective
Slide 27
28
Supplier Contributions for Validation
  • Operate product development, manufacturing and
    support in a documented quality management system
  • Document software development and validation
    activities
  • Summarize testing activities for hardware and
    software
  • Provide conformity declarations and/or validation
    certificates for equipment and software
  • Respond to supplier assessment requirements in
    timely manner
  • Allow and be cooperative with vendor audits
  • Allow access to test conditions and results
  • Offer IQ/OQ services
  • Provide software for system suitability testing

29
Documents that Should be Provided by Software
Suppliers
  • Functional specifications
  • Documented evidence of working under a recognized
    quality system (ISO 9001 or equivalent)
  • Validation certificate or declaration of system
    validation
  • Description of software development and
    validation process
  • Environmental specifications for facilities
  • Site preparation checklist
  • Documented evidence of qualifications for
    personnel that develop and support computer
    systems
  • Declaration of conformity to specifications for
    equipment hardware

30
Step 4 Perform and Document Installation
Qualification
  • Collect suppliers environmental conditions,
    operating and working instructions and
    maintenance requirements
  • Compare systems, as received, with purchase order
  • Install of systems according to vendor
    specifications
  • Make system drawings (e.g., data flow)
  • Check documentation for accuracy and
    completeness
  • Document all components with asset and serial
    numbers

Assistance from Vendor
31
Installation Testing - Examples
System ID ____________ Date
installed ___________ Test Objective Verify
acceptable installation Installer Name
________________ Installer Signature
______________ Start Log on as system
administrator
Test Test Procedure Pass Fail
1 System log-on
2 Load test method and instrument parameters
3 Run well characterized test sample
4 Compare with reference plot
5 Document and sign results
6 Access help file
Tester I confirm that I have all tests executed
as described Name ___________
Signature__________ Date_________ Tests
passed yes no Comment
___________________________
Slide 31
32
Conduct Risk Management
  • Should be applied throughout the lifecycle of a
    computerized system
  • Decisions on extent of validation and data
    integrity controls should be based on a justified
    and documented risk assessment
  • Impact on product quality and patient safety
  • Impact on data integrity

Comment from Labcompliance Example for high
risk Systems records supporting batch release,
e.g., QC equipment and data systems, electronic
batch record system Example for low risk Word
processing system to write a validation report
33
Document the System in the Computer System
Inventory
ID/ Asset Number Description Location Application GxP Riskh,m,l Contact Time Frame for Validation
RV3212 Chromatogr.Data System G4 West1 Instrument control, data acquisition Yes m Bill HinchTN 432 123 Jun-Jul2011

  • PIC/S
  • For GxP regulated applications it is essential
    for the regulated user to carry out a properly
    documented ... risk analysis for the various
    system options
  • The inspector will consider the potential risks,
    .., as identified and documented by the regulated
    user, in order to assess the fitness for purpose
    of the particular system(s).

34
Step 5 Test for Operational Qualification
  • Identify critical functions for the computer
    systems as defined in functional and user
    requirement specifications
  • Develop test cases for the functions anddefine
    acceptance criteria
  • Perform the tests
  • Evaluate results and compare with acceptance
    criteria
  • Document results

Assistance from Vendor for OQ services Hardware
and software
35
What to Test
Cost effective
  • Functions that can be impacted by the users
    environment
  • User configurations
  • User customizations
  • Hardware configurations, cabling(communication
    between computer and equipment)
  • Real critical system functions
  • Run well characterized test sample
  • Compare test results with acceptance criteria

36
Why Companies in EU/US Choose Manufacturers
Operational Qualification Services
  • Tools for equipment hardware qualification
  • Some tests require traceable test tools
  • The tools typically need to be calibrated yearly
  • Qualification of test engineers
  • Test engineers must be formally qualified
  • Training must be regularly updated and thoroughly
    documented
  • Manufacturer engineer bring qualification
    certificates along
  • Manufacturer engineers can fix problems if OQ
    does not pass
  • Documentation
  • Vendors provide inspection ready documentation
  • Compliance
  • There are many FDA warning letters based on
    users OQ
  • I am not aware of a vendors OQ based warning
    letter

37
Step 6 Ensure Ongoing Performance (PQ)
  • System Testing
  • Regular system performance tests
  • System suitability testing, QC Samples
  • Development, review, approval of SOPs
  • Maintenance
  • Regular disk maintenance
  • Regular virus checks
  • Environmental control
  • Regular data back-up
  • Change control procedures and logs

38
Step 7 Implement Change Control System
  • Main reasons for changes hardware maintenance
    and repair and software upgrades
  • Changes must follow a documented change procedure
  • Procedure should require risk analysis and
    evaluation if the change may affect the
    computerized system's validation status
  • Document changes what, why, who, how tested?

39
Step 8 Write the Validation Report
  • Should include brief description of each major
    project activity
  • Used to review all preceding validation
    activities and indicate status of the system
    prior to implementation into a production
    environment
  • Deviations from the project plan should be
    documented and risk assessment should be
    performed
  • Approval of the validation report pre-requisite
    for release

Risk assessment for deviations
40
Validation Phases 4Q Model APPROACH FOR
EXISTING EQUIPMENT
  • Document equipment use
  • Document applications
  • Document used functions
  • Enter all modules and systems in a database
  • Hardware, Firmware, Software

Validation Report
Validation Plan
  • Document past tests
  • Test of functional specifications
  • Test of performance functions
  • System test (system suitability testing)
  • Preventive maintenance

Change Control
41
Thank You
  • I would like to thank
  • All attendees for your attention
  • Agilent Technologies for invitation and
    organizatopn

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