Clenaing Validation
Clenaing Validation
PDA: A Global
State of art and regulatory
Association
trends in acceptance criteria
selection
G.Vitali
CTP System S.p.A
Agenda
Regulations/Guidelines: state of art
As it all began
1998: PDA Technical Report No.29 Points to consider for Cleaning Validation
Cleaning limits not be selected arbitrarily. Logical and scientific basis for the
numerical limit to be selected.
*All quotes on this page are from: Cleaning Validation for the 21St Century: Acceptance Limits for Active Pharmaceutical
Ingredients (APIs): Part I, Andy Walsh, Pharmaceutical Engineering 2011
Rules/Guidelines
State of art
Eudralex -The rules governing medicinal products in the European Union: Volume 4,
Good Manufacturing practices - Medicinal products for human and veterinary use
a) Part 1 Chapter 5 Production
b) Part 2 - Basic requirements for Active Substances used as Startings Materials
(ex Annex 18)
Annex 15 Qualification and validation 2001
FDA Guide to inspections of validation of cleaning processes 1993
ICH (International Conference of Harmonization) Q7 - GMP for Active
pharmaceutical ingredients, 2001, Sezione XII, Validation
PIC/S (Pharmaceutical Inspection Cooperation Scheme) PI 006-03 Recommendations on validation master plan, IQ, OQ, non-sterile process validation,
cleaning validation 2007
CEFIC/APIC (European Chemical Industry Council/Active Pharmaceutical
Ingredients Committee) - Guidance on aspects of cleaning validation in active
pharmaceutical ingredients plants 2000
Rules/Guidelines
State of art
PDA Technical Report n 49 Points to consider for Biotechnology Cleaning
Validation 2010
ISPE Risk-Based Manufacture of Pharmaceutical Products - A Guide to Managing
Risks Associated with Cross-Contamination, September 2010
EMA/CHMP/SWP/598303/2011 Concept Paper on the development of toxicological
guidance for use in risk identification in the manufacture of different medicinal
products in shared facilities, October 2011
PDA Technical Report n 29 Points to consider for Cleaning Validation Revised
2012
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, DRAFT, December 2012
Rules/Guidelines
Acceptance Criteria: current common approach
Rules/Guidelines
New ways to select the proper acceptance criteria
Rules/Guidelines
New ways to select the proper acceptance criteria
The improvement in the safety of patients should not be reached including
new safety factors to acceptance criteria. On the contrary, if the patient
safety is (and must be) the final scope, the most appropriate approach is to
focus on the safety of the residue.
For example: one aspect of safety profile for a drug is the theratogenic
effect.
o The theratogenic effect is dose related but not linked to the
therapeutic dose.
Rules/Guidelines evolution
Approach based on Acceptable Daily Exposure
Rules/Guidelines evolution
Approach based on Therapeutic Index
All drugs are evaluated basing on their therapeutic index, that means the ratio
between the letal dose (LD50) and effective dose (ED50). This ratio indicates
the safety level of a specific drug. Higher is the ratio, safer is the drug.
The pictures compare two drug products with the same therapeutic dose (1.0
mg), but with very different therapeutic indexes.
For example:
WHO reports acceptable values (limits) for residuals of additivites and
pesticided in food
The choice of a specific starting point or critical effect for risk evaluation
Body weight
safety factor selected by toxicologist (generally max.1000)
Maximum daily intake of the next product (B)
Minimum batch size of the next product (B)
safety factor selected by toxicologist (generally max.1000)
EMA - Concept Paper on the development of toxicological guidance for use in risk
identification in the manufacture of different medicinal products in shared facilities. 2011
EMA states the a new guideline will be issued developing a clear guidance on
appropriate toxicological assessment
The NOEL is the highest tested dose at which no critical effect is observed.
If the critical effect is observed in several animal studies, the NOEL occurring
at the lowest dose should be used for calculation of the PDE value.
If different adverse effects are identified, calculating the related PDE values, the
more appropriate PDE value must be used as acceptance criteria in Cleaning
Validation.
The lowest PDE value should be used as default.
EMA Guideline on setting health based exposure limits for use in risk identification in
the manufacture of different medicinal products in shared facilities, Draft, 2012
Permitted Daily Exposure (PDE):
EMA Guideline on setting health based exposure limits for use in risk identification in
the manufacture of different medicinal products in shared facilities, Draft, 2012
Active substances with a genotoxic potential
For genotoxic active substances for which there is no discernible threshold, it is
considered that any level of exposure carries a risk.
However, a pre-defined level of acceptable risk for non-threshold related
genotoxicants has been established in the EMA Guideline on the Limits of Genotoxic
Impurities in the form of the Threshold of Toxicological Concern (TTC) of
1.5 g/person/day.
Active substances with a sensitising potential
Concerning topically applied medicinal products, literature data support that a nonsensitizing dose for active substances inducing skin sensitisation exists both with
respect to the induction of skin sensitisation and its elicitation. Hence, in case the
non-sensitising dose has been established in humans or target or laboratory
animals, a PDE value can be derived applying the PDE approach. For other routes
of administration, a safe level of exposure is more difficult to establish. Dedicated
facilities are required for manufacturing active substances and medicinal products
for which scientific data does not support a threshold value of sensitisation.
EMA Guideline on setting health based exposure limits for use in risk identification
in the manufacture of different medicinal products in shared facilities, Draft, 2012
Lack of animal data on reproductive and developmental toxicity
The presence of residual active substance should be reduced to a level that will not
pose a risk for effects on reproductive and developmental parameters.
However, in the early phases of development, non-clinical data to assess the
potential of the new active substance to cause reproductive and developmental
toxicity may often be lacking.
In these cases, the use of a generic threshold value as is applied for genotoxic
substances may be considered. Such a threshold value could be conservatively
derived from a database of NOAELs obtained in animal studies of fertility and
embryo-fetal development conducted for active substances representing a wide
selection of pharmacodynamic effects.
In case the level of residual active substance cannot be reduced to the
established threshold value or when insufficient data are available to establish a
threshold value, the active substance should be manufactured in a dedicated facility
Risk MaPP
Acceptable Daily Exposure (ADE)
Risk MaPP
Acceptable Daily Exposure (ADE) or
therapeutic dose related criteria
Example of application 1
S-1004
P-1006
S-1005
R-1001A
R-1001B
R-1003
S-2001
S-2002
S-2003
S. A. 2000
MF-2001
P-2004
P-1011
Example of application 2
Reactor RS 1781
Centrifugation
Centrifuge
CE 129 or CE 130 or
CE 940
a.
b.
c.
Rules/Guidelines
Worst case Selection: Analytical Method and Monitoring/Re-Validation
Analytical methods
EU GMP part II: Validated analytical methods having sensitivity to detect
residues or contaminants should be used. The detection limit for each analytical
method should be sufficiently sensitive to detect the established acceptable
level of the residue or contaminant. The methods attainable recovery level
should be established.
In some cases the method could be preserved, shifting the analytical target on
lower range, and off course providing a new validation
Specimen
LC-UV
sensitivity
Good, 254
nm, 10 g/mL
Good, 254
nm, 10 g/mL
LC-MS-MS
sensitivity
100 ng/mL
10 ng/mL
20 ng/mL
10 ng/mL
Residui %
Area/Conc.
60000
50000
R = 0,9999
Area
40000
RF Fattore di Risposta su
Area
R = 0,9944
30000
20000
10000
0
0
0,5
1
g/cmq
40
30
20
10
0
-10 0
-20
-30
-40
1,5
0,5
1,5
g/cmq
0,5
1
g/cmq
1,5
Residui %
Area/Ratio Specimen/IS
30
20
15
RF Fattore di Risposta su
Ratio
Ratio Composto A / IS
25
40
30
20
10
0
-10 0
-20
-30
-40
10
0
0
0,5
1
g/cmq
1,5
0,5
1,5
g/cmq
0,5
1
g/cmq
1,5
Questions?
31