BATCH MANUFACTURING RECORD REVIEW: STERILE PHARMACEUTICAL MANUFACTURING  PROCESS CONTROL DOCUMENTATION
Manufacturers should build process and environmental control activities  into their aseptic processing operation. It is critical that these  activities be maintained and strictly implemented on a daily basis. The  requirement for review of all batch records and data for conformance  with written procedures, operating parameters, and product  specifications prior to arriving at the final release decision for an  aseptically processed product calls for an overall review of process and  system performance for that given cycle of manufacture. All in-process  and laboratory control results must be included with the batch record  documentation in accordance with section 211.188. Review of  environmental and personnel monitoring data, as well as other data  relating to acceptability of output from support systems (e.g., HEPA /  HVAC, WFI, steam generator) and proper functioning of equipment (e.g.,  batch alarms report; integrity of various filters) are considered  essential elements of the batch release decision.
While interventions and/or stoppages are normally recorded in the batch  record, the manner of documenting these occurrences varies. In  particular, line stoppages and any unplanned interventions should be  sufficiently documented in batch records with the associated time and  duration of the event. In addition to lengthened dwell time of sterile  product elements in the critical area, an extensive intervention can  increase contamination risk. Sterility failures have often been  attributed to atypical or extensive interventions that have occurred as a  response to an undesirable event during the aseptic process. Written  procedures describing the need for line clearances in the event of  certain interventions, such as machine adjustments and any repairs,  should be established. Such interventions should be documented with more  detail than minor events. Interventions that result in substantial  activity near exposed product or container closures or that last beyond a  reasonable exposure time should, where appropriate, result in a local  or full line clearance.
Any disruption in power supply, however momentary, that could affect  product quality is a manufacturing deviation and must be included in  batch records (CFR 211.100, 211.192).
Regulations pertaining to sterile pharmaceutical manufacturing  , batch reveiw records
21 CFR 211.100(a) states that “There shall be written procedures for  production and process control designed to assure that the drug products  have the identity, strength, quality, and purity they purport or are  represented to possess. Such procedures shall include all requirements  in this subpart. These written procedures, including any changes, shall  be drafted, reviewed, and approved by the appropriate organizational  units and reviewed and approved by the quality control unit.”
21 CFR 211.100(b) states that “Written production and process control  procedures shall be followed in the execution of the various production  and process control functions and shall be documented at the time of  performance. Any deviation from the written procedures shall be recorded  and justified.”
21 CFR 211.186 and 211.188 address, respectively, "Master production and  control records" and "Batch production and control records."
21 CFR 211.192 states that “All drug product production and control  records, including those for packaging and labeling, shall be reviewed  and approved by the quality control unit to determine compliance with  all established, approved written procedures before a batch is released  or distributed. Any unexplained discrepancy (including a percentage of  theoretical yield exceeding the maximum or minimum percentages  established in master production and control records) or the failure of a  batch or any of its components to meet any of its specifications shall  be thoroughly investigated, whether or not the batch has already been  distributed. The investigation shall extend to other batches of the same  drug product and other drug products that may have been associated with  the specific failure or discrepancy. A written record of the  investigation shall be made and shall include the conclusions and  followup.”
validation refers to establishing documented evidence that a process or system, when operated within established parameters, can perform effectively and reproducibly to produce a medicinal product meeting its pre-determined specifications and quality attributes
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6 comments:
This report game me few more ideas on what to do next! thanks a lot!
Manufacturing Education Requirements
Audit checklists can be used to ensure that important elements of the transferred process were not overlooked or misunderstood. Appropriate participants should have approved the protocol and also the final report. If it isn’t clear to the auditor, it won’t be clear to FDA.click here
Nice Post.
I like the way you written the post.
Post is very Informative and easy to understand.
batch process record module that allows you to track the batch manufacturing right from the raw material until the realease order issued by the quality assurance department.
Thanks for sharing such a nice blog...
Dear all,
For helping you, here is a link to a complete example of a Batch Record of Atorvastatin:
https://producaoindustrialblog.wordpress.com/2017/01/13/sampl-of-batch-manufacturing-record-bmr-atorvastatin/
Dear all, the link is https://manoxblog.com/2017/01/13/sampl-of-batch-manufacturing-record-bmr-atorvastatin/
This was a useful post and I think it's fairly easy to see in the other reviews, so this post is well written and useful. Keep up the good work.
Pcd Medicine
Monopoly Medicine Company in India
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