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CERTIFICATION REPORTS, WHAT DO I NEED TO KNOW?
Pharmacy Compounding Overview and Insanitary Conditions
www.fda.gov
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Introductions
• CDR Mary McGarry, BS, PharmD, MS, RAC, CPGP
• CDR Stacey Degarmo, PharmD, BCPS, CPH, CPGP
• Compliance Officers
• FDA, Center for Drug Evaluation and Research, Office of Compliance, Office of Manufacturing Quality, Global Compliance Branch 1 (Pharmacy Compounding)
www.fda.gov
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Disclaimer
• We (I) have no conflicts of interest to disclose
• The opinions in this presentation reflect the views of the authors and should not be construed to represent FDA’s views or policies on Compounding Pharmacy Practices
www.fda.gov
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Agenda• Pharmacy Compounding History
• Review of Compounding Regulations
• Insanitary Conditions
• USP <797> Certification Requirements
• How to Ensure your report meets USP <797> requirements
– Report Breakdown
• Report Examples
• Keys for a Robust Environmental Monitoring Program
• Questions
www.fda.gov
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Compounding Background
• Oversight of traditional pharmacy compounding was done by state boards of pharmacy
• USP <797> guidelines were used as industry standard/best practices
• Regulatory changes following the 2012 fungal meningitis outbreak led to increased oversight by the FDA and legal enforceability of USP <797> in most states
www.fda.gov
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Drug Quality and Security Act (DQSA)
• Amends the Federal Food, Drug and Cosmetic Act (FDCA) with respect to human drug compounding and drug supply chain security
• Title 1, the Compounding Quality Act, contains provisions relating to the oversight of compounding of human drugs
• Enacted by Congress on November 27, 2013
www.fda.gov
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FDCA Section 503A• Section 503A describes conditions under which certain
compounded human drug products are entitled to exemptions from three sections of the FDCA:
FDA approval prior to marketing (section 505)
Compliance with current good manufacturing practices (cGMP) (section 501(a)(2)(B))
Labeling with adequate directions for use (section 502(f)(1))
• Some federal requirements still apply to pharmacies that meet the requirements of 503A (i.e. NO INSANITARY CONDITIONS)
www.fda.gov
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Compounding Quality Act• Removes provisions of 503A related to solicitation
of prescriptions and advertising/promotion that were found to be unconstitutional
• Clarifies that section 503A will be applicable to compounders nationwide
• Adds new section 503B related to “Outsourcing Facilities”
www.fda.gov
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503B Outsourcing Facilities• Engaged in the compounding of at least some sterile
drug products
• Facility registration is voluntary
• Registered facilities complying with 503B are exempt from two FDCA sections:– FDA approval prior to marketing (section 505)
– Labeling with adequate directions for use (section 502(f)(1))
• Subject to cGMP requirements and increased federal oversight (routine FDA inspections)
www.fda.gov
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503B Outsourcing Facilities• Allows production of compounded products
without individual patient prescriptions
• Can have some patient specific and some non-patient specific compounding but ALL would be subject to cGMP requirements
• Does not have to be a licensed pharmacy
• Compounding does have to be done by or under direct supervision of a licensed pharmacist
• No wholesaling allowed
www.fda.gov
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Insanitary Conditions - Defined• Insanitary conditions are conditions that could cause a drug to
become contaminated with filth or rendered injurious to health
• Drug does not have to actually be contaminated
• Drugs produced under insanitary conditions are considered adulterated under federal law
• Prohibited under section 501(a)(2)(A) of FDCA
• Neither section 503A nor section 503B provides an exemption to the insanitary conditions prohibitions
www.fda.gov
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Which of these would be an Insanitary Condition?
A. Giving your dog a bed in close proximity to a compounding area
B. Office style top-loaded drinking water used for formulating sterile products
C. Coffee filters used to filter particulates
D. Toaster ovens used for dry heat sterilization and depyrogenation
E. Kitchen dishwasher and detergent used to clean sterile compounding equipment and utensils
F. All of the above
www.fda.gov
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Which of these would be an Insanitary Condition?
F. All of the above
How many of these conditions have been observed by FDA investigators???
• ALL of them
www.fda.gov
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Insanitary Conditions – Examples
• Mold and/or bacterial contamination
• Sources of non-microbial contamination in production areas
• Wood surfaces in cleanrooms• Poor aseptic technique• Renovations in the immediate
compounding area• Handling hazardous, sensitizing,
or highly potent drugs without adequate controls to prevent cross-contamination
• Exposing sterile drugs and materials to less than ISO 5 quality air
• Animals (pets or otherwise) in facility in close proximity to the compounding room
• Insects in cleanrooms, ceilings• Performing aseptic manipulations
with exposed hair or skin (hands, wrists, forehead, mouth, or legs)
• Standing water or evidence of leakage in production or adjacent areas
• Improper gowning• Failure to disinfect or change
sterile gloves when sterility or integrity may have been compromised
www.fda.gov
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Photos of Insanitary Conditions
Visible microbial contamination
www.fda.gov
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Photos of Insanitary Conditions
Table for ISO-5 is laminated particle board
www.fda.gov
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Photos of Insanitary Conditions
HEPA filters visibly dirtywww.fda.gov
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Photos of Insanitary Conditions
Sleeve of the glove box is damagedwww.fda.gov
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Photos of Insanitary Conditions
Exposed legs of gowned employee working in the cleanroom
www.fda.gov
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Photos of Insanitary Conditions
• The HEPA filter located immediately above the ISO 5 workbench was observed to have been stained on the filter surface
• The HEPA filter stain was due to drug product which had exploded due to excessive pressure applied when forcing non-sterile product through a sterilizing filter. The device used to force the product through the sterilizing filter was a stainless steel caulking gun
www.fda.gov
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Insanitary Conditions –Why do they matter???
• Drug Contamination
• Patient Injury
• “Drug products prepared, packed, or held under insanitary conditions could be contaminated and cause serious adverse events, including death” – FDA Guidance on Insanitary Conditions
• Note: Image above shows fungal growth in a patient’s spinal fluid sample following the injection of a contaminated CSP into the patient’s spinal column
www.fda.gov
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FDA Guidance for Industry• On 9/25/18, FDA released a revised guidance on
Insanitary Conditions at Compounding Facilities
• Available at: https://www.fda.gov/downloads/Drugs/GuidanceComplianceRegulatoryInformation/Guidances/UCM514666.pdf
• Note: “Guidances for Industry” are intended to explain FDA’s current thinking and/or expectations related to a given topic
www.fda.gov
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CLEANROOM AND HEPA CERTIFICATION REPORTS
Switching Gears…
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How HEPA Filters Work
• The HEPA filter is a particulate filter.
• The HEPA filter retains airborne particles and microorganisms, however gases pass freely through the filter
• HEPA filters retain particulate matter by several mechanisms working together including:
– Sieving, Interception, Inertial Impaction and Diffusion
www.fda.gov
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USP <797> Certification Requirements
• Requires certification every 6 months under dynamic conditions– Dynamic conditions – during simulation of product manipulations and
material transfers
– Static conditions – the room is at “rest” – no workers performing manipulations inside the hood or moving around room
• Recertification also required when the device or room is relocated or altered or major service to the facility is performed
• References CETA Certification Guide for Sterile Compounding Facilities as the standard for certification procedures (CAG-003-2006)
www.fda.gov
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FDA Recommendations
• FDA also recommends that facilities certify the ISO 5 area every six months
– If the ISO 5 area is not certified every six months or does not pass all certification requirements, there is no assurance that the ISO 5 area is working properly (e.g., generating unidirectional ISO 5 airflow)
www.fda.gov
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Requirements
• How do you ensure your report meets requirements?
– What should I look for?
– What do these numbers mean?
– What is a patch?
– When should I seek additional guidance?
– Should I wait for the report to be issued or should I get the raw data on the date of the certification?
www.fda.gov
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Test Certification Report• Name and address of testing organization
• Date of Testing
• No and year of the publication of the relevant part of ISO14644 (i.e. ISO 14644:1 1-2015)
• Location of cleanroom
• Specific representation of locations (diagrams if necessary)
• ISO Class
• Occupancy
• Particle count sizes considered
• Test method used
• Identification of test instrument/s and calibration certificates
• Test ResultsReference: Moldenhauer, J (2017)Environmental Monitoring A Comprehensive Handbook, Volume 8, Bethesda, MD:DHI
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REPORT BREAKDOWN
Step by Step Overview
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Top of Report
• Identifies Hood
• Model Number of Hood
• Type of Hood or CAI or CACI
• Date of Certification
• Date of Next Certification
• Name of Certifier
• Identifies the testing to be performed
www.fda.gov
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• Picture of top
www.fda.gov
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Velocity Profile
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Velocity Testing Equipment
• Hot Wire Anemometer
**https://www.google.com/search?q=hot+wire+anemometer+picture&tbm=isch&source=iu&ictx=1&fir=HkjGMlYVCO2HgM%253A%252Cshb3DelQkHU9PM%252C_&usg=AFrqEzcre5zupvAydPjGbNVNTZ2wX4a-0g&sa=X&ved=2ahUKEwjg_YPAns_cAhUFtlMKHSezCjoQ9QEwDnoECAIQIA#imgrc=HkjGMlYVCO2HgM:
***https://www.google.com/search?q=cleanroom+certification+with+hot+wire+anemometer+photo&tbm=isch&tbo=u&source=univ&sa=X&ved=2ahUKEwjWudSEoM_cAhVQyVMKHTRUBDQQ7Al6BAgGEBE&biw=1366&bih=662#imgrc=0c7yNzKwuT2pdM:
www.fda.gov
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Velgrid
Typical multipoint sensor array. (Image: ENV Services)
(Image: Shortridge Instruments –VELGRID)
www.fda.gov
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The Test Must Show the Following:
• Adequate velocity to sweep particulate matter away from the filling, closing area.
• Air flows from point of filtration –across product –to returns with no turbulence
• Positive pressure to adjacent areas
• The room maintains performance “as operated” with all processing equipment on and personnel in place, as well as at rest.
www.fda.gov
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Break Down of Lower Section of Report
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Particle Monitoring
• The airborne particle count cleanliness classification test is performed to determine the actual particle count level within the facility at the time of the test (As-Built, At Rest and Operational)
www.fda.gov
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Airborne Particulate Cleanliness Classes In Accordance WithISO Standard 14644
Class limits are given for each class name. The limits designate specific concentrations (particles per unit volume) of airborne particles with sizes equal to and larger than the particle sizes shown.
Image courtesy of : https://www.google.com/imgres?imgurl=https://40rik02ft2xye26xv2i0y0yc-wpengine.netdna-ssl.com/wp-content/uploads/2016/03/iso-14644-1-table-1.png&imgrefurl=https://www.pharmout.net/iso-14644-1-2015-update-cleanroom-classification/&h=581&w=888&tbnid=KUKTw5RjZ3dIlM:&q=iso+14644-1+cleanroom+standards&tbnh=137&tbnw=211&usg=AFrqEzfbxMK8_vk5Pjxx3ClKH7RUaGyQjA&vet=12ahUKEwjxu-Lfm9vcAhXR0FMKHaPyAPwQ9QEwAHoECAYQBg..i&docid=BjboTyK33_MSPM&sa=X&ved=2ahUKEwjxu-Lfm9vcAhXR0FMKHaPyAPwQ9QEwAHoECAYQBg
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HEPA Filter Testing
• Airflow/Velocity Testing
• Integrity/Leak Testing
• Reporting a Leak
• Filter Patching
www.fda.gov
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HEPA Filter Leak Testing
• Filter scanning is used to ensure that any leaks that are detected in the filter pack are appropriately sealed.
• Three types of testing available:
– Photometer Scanning
– Photometer Total Leakage
– Particle Counter Scanning
www.fda.gov
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Aerosol Photometer Filter Scan Test Method
• This test provides both qualitative and quantitative results in identifying leaks.
• It is important that the entire face of each filter is scanned for leaks, using an overlapping of stroke with the probe.
• Additionally, scan the perimeter of each filter to locate leaks in the bond between the filter pack and the frame and to locate leaks in the seal of the frame and support structure.
• The probe used by the technician should be held approximately 1 inch from the filter face during scanning to prevent damage to the filter.
www.fda.gov
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Reporting/Documenting Leaks
• Should be documented on certification report
• Location and size should be documented
• Corrective actions (if taken) should be documented
• Ask certification technician about leaks on the day of certification, esp. if contractor typically sends report at a later date
www.fda.gov
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Filter Patching
• Repairs at Factory: individual patch can be no more than 2 in² or block more than 1% of the filter face
• Repairs in Field: individual repairs should be no more than 1.5 in on smallest side; repairs should not block more than an additional 3% of filter face
www.fda.gov
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Air Flow Smoke Patterns• Smoke studies should be conducted as part of the certification to
assess the airflow patterns necessary to maintain unidirectional flow from areas of higher air quality (e.g., ISO 5) to areas of lower air quality (e.g., ISO 7) to prevent microbial contamination of the sterile drug products during processing.
• To verify that the airflow within the critical areas is downward with no dead spots or refluxing into the critical site.
• Conducting smoke studies under dynamic conditions helps to ensure that unidirectional airflow is maintained while personnel are working in the ISO 5 area.
www.fda.gov
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Smoke Studies• Make sure the equipment used during production is
within the hood at the time of the smoke study
• Smoke study should be done under dynamic conditions– Document your “dynamic conditions” (number of personnel,
operation simulated, equipment in hood)
• Ensure all operations are covered by smoke during study
• Simulate your most common and/or most complex operations during smoke study
• Know the type of smoke being used so you know how to clean the hood afterward
www.fda.gov
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Smoke Studies of the ISO-5
www.fda.gov
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Lighting Intensity
• The purpose of the lighting level and uniformity tests is to verify that installed lighting levels and lighting uniformity meet the standard requirements.
• Testing Methods may vary. Some common elements that pertain to all tests include:
– Lamp conditioning
– Measurement of conditions
– Instrumentation and equipment
– Creating a grid patter for testing locations.
www.fda.gov
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Required Service and Maintenance
• Report states what was done during the certification
– If the technician performed any repairs it would be noted in this area
– Some reports tell you if the certification was done under dynamic conditions
• If dynamic conditions – make sure certification has details including the number of individuals in the room, what was being done and the configuration of equipment and supplies within the hoods and rooms.
www.fda.gov
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Pressure Differentials
• FDA recommends that facilities measure pressure differentials during operations to help ensure proper airflow (i.e., from areas of higher quality air to adjacent areas with lower quality air).
• Insanitary condition: “A facility designed or operated in a way that… allows the influx of poor quality air into a higher classified area. Examples include…– air return located next to the HEPA filter rather than near the floor;– an air vent between Buffer room and unclassified areas;– a door opened between the unclassified area and the ISO 8 anteroom
while the door between the ISO 7 and ISO 8 areas is also open;– inadequate pressure differentials between areas of higher quality air and
lower quality air.”
www.fda.gov
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Examples
www.fda.gov
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www.fda.gov
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www.fda.gov
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Environmental Monitoring and Personnel Monitoring
The following slides were completed by a member of the Office of
Manufacturing Quality within the compounding group.
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Environmental and Personnel Monitoring
“Evaluating the quality of air and surfaces in the cleanroom environment should start with a well defined written program and scientifically sound methods. The monitoring program should cover all production shifts and include air, floors, walls, and equipment surfaces, including the critical surfaces that come in contact with the product, container, and closures.”“A vigilant and responsive personnel monitoring program should be established.”
— Sterile Drug Products Produced by Aseptic Processing — Current Good Manufacturing
Practice Guidance for Industry
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Why have a robust environmental monitoring program?
• The environmental controls and data collected through environmental monitoring will ensure drug products are produced within an adequate aseptic environment and not under insanitary conditions, as described in FDA draft guidance Insanitary Conditions at Compounding Facilities
– FD&C Act 501(a)(2)(A) – “A drug is deemed to be adulterated if it has been prepared, packed, or held under insanitary conditions whereby it may have been contaminated with filth, or whereby it may have been rendered injurious to health.”
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Environmental and Personnel Monitoring
• The “so what?”
– Sterility tests are not statistically reliable to ensure sterility of products.
– Firms need to be able to demonstrate that aseptic conditions are maintained and exist during daily operations – quality is built in
• Drug Quality Assurance
– Drug quality is built into the drug by paying attention to facility design, environmental controls and production process.
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Environmental and Personnel Monitoring
• FDA recommends that facilities conduct routine environmental monitoring, including:
a. nonviable airborne particulate sampling;
b. viable airborne particulate sampling;
c. personnel sampling (including glove fingertip sampling); and
d. surface sampling, including but not limited to equipment, work surfaces, and room surfaces
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Environmental Monitoring
• FDA recommends that facilities certify the ISO 5 area every six months. – If the ISO 5 area is not certified every six months or does not pass all
certification requirements, there is no assurance that the ISO 5 area is working properly (e.g., generating unidirectional ISO 5 airflow).
– Smoke studies should be conducted as part of the certification to assess the airflow patterns necessary to maintain unidirectional flow from areas of higher air quality (e.g., ISO 5) to areas of lower air quality (e.g., ISO 7) to prevent microbial contamination of the sterile drug products during processing.
– Conducting smoke studies under dynamic conditions helps to ensure that unidirectional airflow is maintained while personnel are working in the ISO 5 area.
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Environmental and Personnel Monitoring
• FDA recommends that facilities measure pressure differentials during operations to help ensure proper airflow (i.e., from areas of higher quality air to adjacent areas with lower quality air).
• Insanitary condition: “A facility designed or operated in a way that… allows the influx of poor quality air into a higher classified area. Examples include…
– air return located next to the HEPA filter rather than near the floor;
– an air vent between classified and unclassified areas;
– a door opened between the unclassified area and the ISO 8 anteroom while the door between the ISO 7 and ISO 8 areas is also open;
– inadequate pressure differentials between areas of higher quality air and lower quality air.”
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USP <797> Environmental Monitoring Standards
Current USP <797> Proposed Revised USP <797>
Meet ISO-5 particle count
Yes Yes
Frequency of monitoring/test
6 months 6 months
Conditions of Test
Dynamic Dynamic
Qualification of the ISO-5
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USP <797> Environmental Monitoring Standards
Current USP <797> Proposed Revised USP <797>
Demonstration of unidirectional air flow
Yes Yes
Conditions of Test
Dynamic Dynamic
Qualification of the ISO-5
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USP <797> Environmental Monitoring Standards
Current USP <797> Proposed Revised USP <797>
Meet ISO-7/8 particle count
Yes Yes
Frequency of monitoring/test
6 months 6 months
Conditions of Test
Dynamic Dynamic
Demonstration of air-flow through and out of rooms
Not addressed Not addressed
Qualification of the ISO-7/8
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USP <797> Environmental Monitoring Standards
Current USP <797> Proposed Revised USP <797>
Particle count (a.k.a. “non-viable air”)
6 months 6 months
Viable air particle
6 months 6 months
Surfaces
6 months 1 month
Pressure differentials between rooms
Daily before production Daily before production
Environmental monitoring – frequency
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USP <797> Environmental Monitoring Standards
Current USP <797> Proposed Revised USP <797>
Frequency
6 months 3 6 months
Area sampled
Gloved fingertips only Gloved fingertips only
Personnel monitoring
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Common Environmental Monitoring Program Deficiencies
• Non-representative or biased environmental monitoring, for example:
– Not performing EM under dynamic/operational conditions
– Locations of samples not significant
– Cleaning and disinfecting occurs before sampling
– Growth media do not contain “neutralizers” to residue of previous cleaning and disinfecting
– Growth media not demonstrated to be growth promoting
– Incubation not performed under temperatures that promote growth.
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Resources• ISO Standards – 14644, Cleanrooms and associated controlled environments
– Part 1: Classification of air cleanliness by particle concentration– Part 2: Monitoring to provide evidence of cleanroom performance related to air cleanliness
by particle concentration– Part 3: Test methods
• CETA Guidelines, www.CETAinternational.org– Certification Guide for Sterile Compounding Facilities (CAG-003-2006 v. 13)– Compounding Isolator Testing Guide (CAG-002-2006)– Certification Matrix for Sterile Compounding Facilities (Secondary Engineering Controls)
(CAG-008-2010)
• U.S. Pharmacopeial Convention, www.usp.org
• FDA’s Guidance for Industry on Sterile Drugs Produced by Aseptic Processing– https://www.fda.gov/ucm/groups/fdagov-public/@fdagov-drugs-
gen/documents/document/ucm070342.pdf
www.fda.gov
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Resources• FDA website on Human Drug Compounding
– Includes Compounding Guidances, information on Outsourcing Facilities, compounding related recalls, inspections, etc.
– Can access FDA’s Human Drug Compounding Progress Report: Three Years After Enactment of the Drug Quality and Security Act, dated January 2017
– https://www.fda.gov/Drugs/GuidanceComplianceRegulatoryInformation/PharmacyCompounding/ucm339771.htm
• Newly released compounding documents:– Draft MOU addressing certain distributions of compounded drug products– Facility definition under Section 503B– Compounded drug products that are essentially copies of a commercially
available drug product under Section 503A– Compounded drug products that are essentially copies of approved drug
products under Section 503B– Mixing, Diluting, or Repackaging of biological products outside the scope of an
approved BLA
www.fda.gov
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QUESTIONS??
Thank You
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BACK UP SLIDES
Interesting Cases