Good Laboratory Practice-Handbook
Good Laboratory Practice-Handbook
Copyright World Health Organization on behalf of the Special Programme for Research and
Training in Tropical Diseases 2009
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HANDBOOK
annex i OECD principles of GLP GLP HANDBOOK
FOREWORD
The demand for this series was so substantial that it became one of the most frequent hits
on the TDR website, generating interest and demand for a iii second edition. This
Second-edition GLP series is presented here in a revised and updated format. It supports
continued technology transfer and capacity-building in disease endemic countries (DECs) in
line with the aims of the recent World Health Assembly Resolution (WHA 61.21) on a Global
strategy and plan of action on public health, innovation and intellectual property
(www.who.int/phi).
This Second-edition GLP Handbook contains all of the required support material for
implementing GLP in a laboratory. The handbook comprises four parts, all updated, including:
1) explanation of the fundamentals of GLP; 2) support for GLP training; 3) methodology for
GLP implementation in DEC research institutions; 4) GLP principles and guidance produced
by the Organisation of Economic Co-operation and Development (OECD), and reproduced
here with OECD permission.
Since publication of the initial GLP edition, TDR-fostered GLP training efforts
throughout the world, and particularly in Asia, Latin America and Africa, have led to the
formation of a network of GLP trainers. These trainers, acting as testers and critics, had a
significant impact on the revision and expansion of this Second-edition GLP series, and
particularly in the creation of a section on stepwise implementation of GLP, identifying
clear milestones for the process.
A key aim of TDR is to empower disease endemic countries to develop and lead
research activities at internationally-recognized standards of quality. This revised GLP
series will support that goal, assisting DEC institutions in performing research and drug
development studies to international standards. This, in turn, will also help institutions
continue research initiatives into the clinical phases of development, in partnership with
both the public and private sectors.
Foreword
We anticipate that the use of these GLP resources will help promote cost-effective and
efficient preclinical research with a long term positive effect on the development of
products for the improvement of human health. In this way, the revised GLP series
contributes to TDRs primary mission of fostering an effective global research effort on
infectious diseases of poverty in which disease endemic countries play a pivotal role.
Dr R. Ridley
iv Director TDR
GLP HANDBOOK
To enjoy the advantages of new or improved methods for the control of tropical
diseases, disease endemic countries (DECs) will need to rely to a large extent on their
own research activities. It is therefore necessary to strengthen the capacity of these
countries to conduct research and drug product development studies at a level
comparable to that in other parts of the world.
The pertinent regulations in the preclinical scenario are the Good Laboratory Practice
(GLP) regulations. These regulations are the subject of this handbook, which is a
v
reference and support document, to help in the implementation of
GLP. The Principles of Good Laboratory Practice of the Organisation for Economic
Cooperation and Development ( OECD) form the basis of this series of guidance
documents.
This is the second version of the WHO Handbook on GLP. It is the result of
experience gained since the first version was published. It also refers to material related
to GLP developments over the last seven years. Since the publication of the first GLP
Handbook and training manuals, many training programmes have been conducted all
over the world. The WHO-TDR Network of GLP Trainers was formed to continue
propagating training and implementation of GLP in DECs. The network recommended
the revision of this guidance document in order to reflect the progress in international
GLP.
Chapter 1. Introduction to the WHO/TDR Handbook on GLP has been the subject
of minor modifications to help understanding and facilitate reading.
Chapter 2. GLP Training: This has been reorganised and updated. The order of the
five fundamental points now reads resources characterisation - rules results
(instead of documentation) quality assurance. Minor corrections have been made and
extra explanations added to this part dealing with the fundamentals of GLP.
Notable changes include:
New section on the role of the Study Director
in the Multi-Site situation.
Reference to the prescriptive and descriptive documents
in GLP studies.
Reference to Principal Investigators.
Reference to the Validation of Computerised Systems.
New section on the role of Quality Assurance in
the Multi-Site situation.
The development
Thus, this second edition of the GLP Handbook represents an up-to-date GLP
vi
reference document which we trust will be useful to support future deployment of GLP in
research centres of DECs.
WHO Secretariat:
Dr D. Kioy** (Preclinical Coordinator, TDR/CDS)
vii
Dr B. Halpaap** (TDR/CDS)
Dr E. Griffiths** (HTP)
Dr H. Engers** (TDR/CDS)
Dr S. Kopp-Kubel* (HTP)
Dr C. Heuck* (HTP)
Dr T. Kanyok* (TDR/CDS)
Dr M. Demesmaeker* (HTP)
This Good Laboratory Practice (GLP) Handbook is designed to aid those wishing to
upgrade their laboratories to GLP status. It has been developed as part of a significant
technology transfer and capacity building programme in the area of preclinical
development in Disease Endemic Countries (DECs).
The first version of the GLP Handbook was produced as an initiative of the Scientific
Working Group (SWG) on GLP issues, convened by the UNDP / World Bank / WHO
special programme for Research and Training in Tropical Diseases (TDR), which
GLP HANDBOOK
comprised independent scientific specialists from around the world. This revised second
edition was an initiative of the WHO/TDR Network of GLP Trainers.
ix
The handbook is broadly based on the Organisation for Economic Cooperation
and Development (OECD) Principles of GLP. The handbook will provide laboratories
and trainers in DECs with the necessary technical aid for implementing GLP
programmes.
TDR gratefully acknowledges the work and support of all those involved in the
production of this handbook, the author David Lang, the editorial group, the WHO/TDR
Network of GLP Trainers and the original SWG. Our special thanks to the OECD, which
kindly allowed us to reprint the OECD Principles of GLP and the related guidance
documents. The OECD documents are provided as an annexe to this handbook.
Dr Deborah Kioy
Pre-clinical Coordinator
TDR/WHO
Avenue Appia 20
Geneva 27 Switzerland
E-mail: [email protected]
TablE OF COnTEnTs
ChapTER
x GEnERal inTRODUCTiOn . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
1 inTRODUCTiOn TO Glp anD iTs appliCaTiOn . . . . . . . . . . . . . . . . . . . . . . . 5
The history of
Glp . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 5
What is Glp ? . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
. . .7
inTRODUCTiOn . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
. . .9
REsOURCEs . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
. . . . . 14 personnel . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
. . . . . . . . . . . 14
Facilities: buildings and Equipment . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 18
ChaRaCTERisaTiOn . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
. 23
The Test item . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
. . . . 23
Test
system . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
. 31
inTRODUCTiOn . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
. . 59 implEmEnTaTiOn as a pROJECT . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
. 60
Xiii . ThE appliCaTiOn OF ThE OECD pRinCiplEs OF Glp TO ThE ORGanisaTiOn anD
manaGEmEnT OF mUlTi-siTE sTUDiEs . . . . . . 253
GEnERal inTRODUCTiOn
WHO published standards for Good Manufacturing Practice (GMP) 1 in 1999 (covering
the manufacture of a drug product) and Good Clinical Practice (GCP) 2 in 1995 (covering
clinical trials in man). However, until the publication of the first version of this handbook
1 Quality assurance of pharmaceuticals : a compendium of guidelines and related materials . volume 2 Good manufacturing
practices and inspection, WhO Geneva 1999
in 2001, WHO had not addressed quality standards for non-clinical testing for the safety
of potential
2 Guidelines for good clinical practices (GCp) for trials on pharmaceutical products . WhO Geneva 1995
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
products : Good Laboratory Practice (GLP). This handbook, and its associated training
volumes, specifically address this gap in WHO recommendations.
The introduction of GLP quality standards in test facilities of developing countries was
seen as an urgent issue and, accordingly, WHO convened a working party (Scientific
Working Group on GLP issues SWG) in 1999 and 2000 to address the WHO position
on GLP.
During the SWG discussions it became evident that, for test facilities in developing
countries, the introduction of GLP could be impeded by resource constraints (e.g. few
2
trained personnel, inadequate facilities and equipment) or by the instability of the
infrastructure (e.g. water or electricity supply), either within the testing laboratory itself
or in the community as a whole. However, GLP could result in tangible returns through
the number of studies placed with research organisations in DECs, resulting in an overall
increase in funding. It is clear that as funding is scarce sponsors will not invest in studies
if the reliability of results cannot be assured. Specifically, WHO/TDR will be reluctant to
allocate their limited funding to non-clinical safety studies unless the results can be
reliable on and thus support decisions concerning the progress of products to clinical
stages and eventually to product registration.
The deliberations of the Scientific Working Group on GLP issues underlined the
following points :
InDECs, demonstrating compliance with GLP will become a
prerequisite for nonclinical safety testing and for drug registration
particularly where drug products are projected for markets other than the country of
origin;
It is essential to avoid the co-existence of two
or more international GLP regulatory standards for non-
clinical safety testing;
Guidance is needed for the implementation of GLP.
With such considerations in mind the SWG recommended that WHO/TDR adopt the
Revised OECD Principles of Good Laboratory Practice as its official guidance for
nonclinical safety testing. The handbook sets forth the OECD Principles in their original
text, supplemented by sections on training and the implementation of GLP.
Chapter 1 Introduction to the WHO/TDR Handbook
on GLP GLP HANDBOOK
The different steps in classical drug development (drug life-cycle) are characterised by
four well-defined stages, which are summarised in the diagram below.
STAGE 1
The first stage, the discovery of a potential NME, is not covered by a regulatory standard,
nor are studies that demonstrate proof of concept. The WHO has recently published
guidance on this early research phase : Quality Practices in Basic Biomedical Research
QPBR.
STAGE 2
The position of GLP studies within the drug development process is specific to the
second stage. These studies are termed non-clinical as they are not performed in
humans. Their primary purpose is safety testing. Toxicology and safety pharmacology
studies, with a potential extension to pharmacokinetics and bioavailability, are those
studies where compliance with GLP is required. From the diagram above, the somewhat
restricted scope of GLP is evident.
4
STAGE 3
The third stage, following on from safety studies of stage 2, encompasses clinical studies
in human subjects. Here, GCP is the basic requirement for quality standards, ethical
conduct and regulatory compliance. GCP must be instituted in all clinical trials from
Phase I (to demonstrate tolerance of the test drug and to define human pharmacokinetics)
through Phase II (where the dose-effect relationship is confirmed) to Phase III (full scale,
often multi-centric, clinical efficacy trials in hundreds or thousands of subjects).
STAGE 4
MANUFACTURING
The fourth stage is post-approval. Here the drug has been registered and is available on
the market. However, even after marketing approval, the use of the drug is monitored
through formal pharmacovigilance procedures. Any subsequent clinical
trials (Phase IV) must also comply with GCP.
The scope of this handbook is restricted to the GLP-regulated area (stage 2 of the
above diagram) i.e. to the ... the non-clinical safety testing of test items contained
in pharmaceutical products ... required by regulations for the purpose of registering
or licensing ...The purpose of testing these test items is to obtain data on their
properties and/or their safety with respect to human health and/or the
environment. ( OECD Principles of GLP ).
(21 CFR 58). The GLP regulations provided the basis for assurance that reports on
studies submitted to FDA would reflect faithfully and completely the experimental work
carried out. In the chemical and pesticide field, the US Environmental Protection Agency
(EPA) had also encountered similar problems with study quality. Accordingly, it issued
its own draft GLP regulations in 1979 and 1980, publishing the Final Rules in two
separate parts (40 CFR 160 and 40 CFR 792, reflecting their different legal bases) in
1983.
On the international level, the Organisation for Economic Co-operation and
Development (OECD) assembled an expert group to formulate the first OECD Principles
of GLP. This was an attempt to avoid non-tariff barriers to trade in chemicals, to promote
mutual acceptance of non-clinical safety test data, and to eliminate unnecessary
duplication of experiments. The expert groups proposals were subsequently adopted by
the OECD Council in 1981 through its Decision Concerning the Mutual Acceptance of
Data in the Assessment of Chemicals [C(81)30(Final)]; they were included as Annex II.
In this document the Council decided that data generated in the testing of chemicals in an
OECD Member country in accordance with the applicable OECD Test Guidelines and
with the OECD Principles of Good Laboratory Practice shall be accepted in other
Member countries for purposes of assessment and other uses relating to the protection of
man and the environment. It was soon recognised that these GLP Principles needed
explanation and interpretation, as well as further development, and in the following years
a number of OECD workshops addressed these issues. The outcomes of these workshops
were published by OECD in the form of consensus or guidance documents. After some
15 years of successful application, the OECD Principles were revised by an international
group of experts and adopted by the OECD Council on 26 th November, 1997
[C(97)186/Final] by a formal amendment of Annex II of the 1981 Council Decision.
A number of OECD Member Countries have incorporated these Principles into their
national legislation, notably the amendment of the European Union in Commission
Directive 1999/11/EC of 8th March 1999 to the Council Directive 87/18/EEC of 18 th
December 1986 , where GLP had first been introduced formally into European
legislation.
Internationally, compliance with GLP is a prerequisite for the mutual acceptance of
data; different countries or regulatory authorities accept laboratory studies from other
Chapter 1 Introduction to the WHO/TDR Handbook
on GLP GLP HANDBOOK
countries provided they comply with the OECD GLP Principles. This mutual acceptance
of safety test data precludes unnecessary repetition of studies carried out in order to
comply with individual regulations of different countries. In order to facilitate further the
mutual acceptance of data and to extend this possibility to outside countries, the OECD
Council adopted on 26th November 1997 the Council Decision concerning the
Adherence of Non-member Countries to the Council Acts related to the Mutual
Acceptance of Data in the Assessment of Chemicals [C(81)30(Final) and C(89)87(Final)]
[C(97)114/Final], wherein interested non-member countries are given the possibility of
voluntarily adhering to the standards set by the different OECD Council Acts and after
satisfactory implementation, are allowed to join the corresponding part of the OECD
Chemicals Programme. Mutual acceptance of conformity of test facilities and studies
with GLP necessitated the establishment of national procedures for monitoring
compliance. According to the OECD Council Decision-Recommendation on
Compliance with Principles of Good Laboratory Practice of 2 nd October 1989,
[C(89)87(Final)] these procedures should be based on nationally performed laboratory
inspections and study audits. The respective national Compliance Monitoring Authorities
should exchange information on the compliance of test facilities inspected, and also
provide relevant information concerning the countries procedures for monitoring
compliance. Although devoid of such officially recognised National Compliance
Monitoring Authorities, some developing countries do have an important pharmaceutical
industry, where non-clinical safety data are already developed under GLP. In these cases,
individual studies may be audited by foreign GLP inspectors.
What is GLP?
Good Laboratory Practice is defined in the OECD Principles as a quality system
concerned with the organisational process and the conditions under
7
which non-clinical health and environmental safety studies are planned,
performed, monitored, recorded, archived and reported. The purpose of the Principles
of Good Laboratory Practice is to promote the development of quality test data and
provide a tool to ensure a sound approach to the management of laboratory studies,
including conduct, reporting and archiving. The Principles may be considered as a set of
standards for ensuring the quality, reliability and integrity of studies, the reporting of
verifiable conclusions and the traceability of data. The Principles require institutions to
assign roles and responsibilities to staff in order to ensure good operational management
of each study and to focus on those aspects of study execution (planning, monitoring,
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
recording, reporting, archiving) that are of special importance for the reconstruction of
the whole study. Since all these aspects are of equal importance for compliance with GLP
Principles, it is not permissible to partially implement GLP requirements and still claim
GLP compliance. No test facility may rightfully claim GLP compliance if it has not
implemented, and does not comply with, the full array of the GLP rules.
As far as pharmaceutical development is concerned, the GLP Principles, in their
regulatory sense, apply only to studies which :
are non-clinical, i.e. mostly studies on animals or in
vitro, including the analytical aspects of such studies;
are designed to obtain data on the properties
and/or the safety of items with respect to human health and/or
the environment;
are intended to be submitted to a
nationalregistration authority with the purpose of
registering or licensing the tested substance or any product derived from it.
Depending on national legal situations, the GLP requirements for non-clinical
laboratory studies conducted to evaluate drug safety cover the following classes of
studies :
Single dose toxicity
Repeated dose toxicity (sub-acute and chronic)
Reproductive toxicity (fertility, embryo-foetal toxicity and
teratogenicity, peri-/postnatal toxicity)
Mutagenic potential
Carcinogenic potential
Toxicokinetics (pharmacokinetic studies which provide systemic
exposure data for the above studies)
Pharmacodynamic studies designed to test the potential
for adverse effects (Safety pharmacology)
8 Local tolerance studies, including phototoxicity, irritation
and sensitisation studies, or testing for suspected addictive and/or
withdrawal effects of drugs.
GLP Principles are independent of the site where studies are performed. They apply to
studies planned and conducted in a manufacturers laboratory, at a contract or subcontract
facility, or in a university or public sector laboratory.
GLP is not directly concerned with the scientific design of studies. The scientific
design may be based on test guidelines and its scientific value is judged by the (Drug)
Chapter 1 Introduction to the WHO/TDR Handbook
on GLP GLP HANDBOOK
inTRODUCTiOn
The history and scope of GLP are discussed in chapter 1 of this WHO/TDR Handbook on
GLP. This present part (chapter 2) of the Handbook is 9 intended to
supplement the WHO/ TDR training manuals and should be used in conjunction with
them.
Regulatory GLP started when the Food and Drug Administration (FDA) issued
mandatory GLP requirements. These came into force on 20 th June 1979. They were a
reaction to cases of malpractice and fraud in the non-clinical testing of drugs performed
by some pharmaceutical companies and contract research organisations. Subsequently
the FDA revised these regulations a number of times but their scope remains the same:
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
the regulations still apply to non-clinical studies used to evaluate safety. Preliminary
pharmacological studies and pharmacokinetic studies not designed to test safety are thus
exempt from GLP requirements. A little later, in 1981, the Organisation for Economic
Co-operation & Development (OECD) issued Principles for GLP concerning the safety
testing of any chemical substance. These Principles were revised in 1997 to reflect more
recent developments. Each of the thirty OECD member states has agreed to accept the
data from safety studies performed by any other member state provided that they have
been conducted in compliance with the OECD GLP Principles. The OECD GLP
Principles have, therefore, gradually dominated GLP world-wide. The world-wide
acceptance of the OECD Principles was even more accentuated when the OECD issued a
Council Decision on the voluntary adherence of Non-Member States. The fact that the
OECD GLP Principles have acquired wide international acceptance is the reason why
they are used as the reference guide for the WHO/TDR GLP training programme.
WHO/TDR wishes to thank the OECD Directorate for Environment for allowing the
publication in extenso of the OECD GLP documents in this Handbook (Annexes).
The WHO/TDR effort to promote the development of therapeutic substances against
tropical diseases and the conduct of studies in DECs is a matter of high priority. For
studies to be readily accepted by regulatory authorities world-wide GLP implementation
in laboratories conducting non-clinical safety studies is of major importance. Part of
achieving this goal in regions where there is limited knowledge of and experience with
formal quality concepts like GLP is to promote technology or knowledge transfer,
through the training of scientists, thus enabling them to work in compliance with these
standards. Therefore, WHO/TDR is actively promoting training courses designed to
provide an understanding of the concepts of GLP and to facilitate the practical
implementation and application of these principles.
The WHO/TDR GLP training course in GLP is seen as an enabler
aiming to assist institutes in Disease Endemic Countries (DECs) to
reach GLP compliance thus allowing them to increase the
international credibility of their data and results. Therefore, this
GLP training contributes pertinently to capacity building in DECs
which is one of the specific aims of WHO/TDR.
10
The GLP Principles set out the requirements for the appropriate
management of nonclinical safety studies. This helps the researcher
to perform his/her work in compliance with his/her own pre-
established scientific design. GLP Principles help to define and
standardise the planning, performance, recording, reporting,
monitoring and archiving processes within research institutions. The
regulations are not concerned with the scientific or technical content
of the studies per se. The regulations do not aim to evaluate the
scientific value of the studies: this task is reserved first for senior
scientists working on the research programme, then for the
Registration Authorities, and eventually for the international
scientific community as a whole. The GLP requirements for proper
planning, for controlled performance of techniques, for faithful
recording of all observations, for appropriate monitoring of
activities and for complete archiving of all raw data obtained, serve
to eliminate many sources of error.
Whatever the industry targeted, GLP stresses the importance of
the following main points:
1. Resources: Organisation, personnel, facilities and equipment;
2. Characterisation: Test items and test systems;
3. Rules: Protocols, standard operating procedures (SOPs);
4. Results: Raw data, final report and archives;
5. Quality Assurance: Independent monitoring of research
processes.
The WHO/TDR training programme takes each of these 5 fundamental points in turn
and explains the requirements of GLP in each case. The major points addressed are
summarised below and then dealt with in detail in the sections which follow.
Resources
ORGANISATION AND PERSONNEL
GLP regulations require clear definitions of the structure of the research organisation and
the responsibilities of the research personnel. This means that the organisational chart
should reflect the reality of the institution and should be 11 kept up to date.
Organisational charts and job descriptions give an immediate idea of the
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
way in which the laboratory functions and the relationships between the different
departments and posts.
GLP also stresses that the number of personnel available must be sufficient to perform
the tasks required in a timely and GLP-compliant way. The responsibilities of all
personnel should be defined and recorded in job descriptions and their qualifications and
competence defined in education and training records. To maintain adequate levels of
competence, GLP attaches considerable importance to the qualifications of staff, and to
both internal and external training given to personnel.
A point of major importance in GLP is the position of the Study Director who is the
pivotal point of control for the whole study. This person is appointed by the test facility
management and will assume full responsibility for the GLP compliance of all activities
within the study. He/she is responsible for the adequacy of the study protocol and for the
GLP compliant conduct of the study. He/she will assert this at the end of the study in
his/her dated and signed GLP Compliance Statement which is included in the study
report. The Study Director must therefore be aware of all events that may influence the
quality and integrity of the study, evaluate their impact and institute corrective actions as
necessary. Even when certain phases or parts of the study are delegated to other test sites
(as in the case of multisite studies), the Study Director retains overall responsibility for
the entire study, including the parts delegated, and for the global interpretation of the
study data.
(The OECD has produced a guidance document on the roles and responsibilities of the
Study Director which is in the annexe to this Handbook. A specific training module on
the Study Director is included in the WHO/TDR GLP Training Manuals.)
Characterisation
In order to perform a study correctly, it is essential to know as much as possible about the
materials used during the study. For non-clinical studies intended to evaluate the
safetyrelated properties of pharmaceutical compounds, it is a prerequisite to have detailed
knowledge about the properties of the test item, and of the test system (often an animal or
isolated part thereof) to which it is administered.
Characteristics such as identity, potency, composition, stability, impurity profile, etc.
should be known for the test item, for the vehicle and for any reference material.
12
If the test system is an animal (which is very often the case) it is essential to know
such details as its strain, health status, normal biological values, etc.
Rules
PROTOCOL OR STuDy PLAN
The study plan or protocol outlines the design and conduct of the study and provides
evidence that the study has been properly thought through and planned: the principal
steps of studies conducted in compliance with GLP are thus described in the study
protocol. The protocol must be approved by the Study Director, by dated signature,
before the study starts. Alterations to the study design can only be made through formal
amendment procedures. All this will ensure that the study can be reconstructed at a later
point in time. The GLP Principles list the essential elements to be included in a study
protocol.
WRITTEN PROCEDuRES
It is not reasonable to include all the technical details of study conduct in the protocol.
The details of all routine procedures are described in Standard Operating Procedures
(SOPs) which are part of the documentation system of the institution. SOPs contribute to
reducing bias in studies by standardising frequently performed techniques. Laboratories
also need to standardise certain techniques to facilitate comparison of results between
studies; here again written SOPs are an invaluable tool. To be able to exactly reconstruct
a study is a sine qua non for the mutual acceptance of data; another reason why routine
procedures are described in written SOPs, used throughout the institution.
But procedures cannot be fixed for all time, since this would stifle technical progress
and lead to the use of out-dated methods and processes. Consequently, they have to be
adapted to developments in knowledge. They must, therefore, be reviewed regularly, and
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
they may be modified so that they reflect actual state of the art. Finally, for ease of
consultation, it is important that SOPs are available directly at the work place, and in
their current version only.
Results
RAW DATA
13
All studies generate raw data, sometimes called source data. Raw data are the
original data collected during the conduct of a procedure. But, raw data also document
the procedures and circumstances under which the study was conducted. They are,
therefore, essential for the reconstruction of studies and contribute to the traceability of
the events of a study. Raw data are the results of the experiment upon which the
conclusions of the study will be based. Some of the raw data will be treated statistically,
while others may be used directly. Whatever the case, the results and their interpretations
provided by the scientist in the study report must be a true and accurate reflection of the
raw data.
STuDy REPORT
The study report, like all the other scientific aspects of the study, is the responsibility of
the Study Director. He/she must ensure that it describes the study accurately. The Study
Director is responsible for the scientific interpretation included in the study report and is
also responsible for declaring to what extent the study was conducted in compliance with
the GLP Principles. The GLP Principles list the essential elements to be included in a
final study report.
ARCHIvES
A study may have to be reconstructed many years after it has ended. Thus the storage of
records must enable their safekeeping for long periods of time without loss or
deterioration and, preferably, in a way which allows quick retrieval. In order to promote
safe storage of precious data, it is usual practice to restrict access to archive facilities to a
limited number of staff and to record the documents logged in and out. Even if the access
is restricted to certain staff, records are also kept of the people entering and leaving the
archives.
Quality Assurance
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Quality Assurance (QA) sometimes also known as the Quality Assurance Unit (QAU) -
as defined by GLP is a team of persons charged with assuring management that GLP
compliance has been attained in the test facility as a whole and in each individual study.
QA must be independent of the operational conduct of the studies, and functions as a
witness to the whole preclinical research process.
(The OECD has produced a guidance document on the Quality Assurance and GLP
which is in the annexe to this Handbook.)
REsOURCEs
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Personnel
The managerial and organisational requirements of GLP account for about 15% of GLP
regulations but, unfortunately, are still seen by regulators and QA as one of the principal
sources of non-compliance. Without full management commitment and formal
involvement of all personnel, GLP systems lack credibility and will not function as they
should. Personnel are, therefore, a critical element when implementing GLP and
maintaining compliance in a laboratory.
It is clear that the manager of a test facility has overall responsibility for the
implementation of both good science and good organisation, including compliance with
GLP.
GOOD SCIENCE
Careful definition of experimental design and parameters.
Performance of experiments based on valid scientific
procedures.
Control and documentation of experimental and environmental
variables.
Careful,complete evaluation and reporting of results.
Assuring that results become part of accepted scientific
knowledge.
GOOD ORGANISATION:
Provision of adequate physical facilities and
qualified staff.
Planning of studies and allocation of resources.
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Personnel Management
Management has the responsibility for the overall organisation of the test facility. With
respect to personnel, this organisation is usually reflected in the Organisation Chart. This
16 is often the first document requested by National Monitoring Authorities during the
course of their inspections: it should provide a clear idea of how the facility functions.
GLP requires that personnel have the necessary competence (education, experience
and training) to perform their functions. Personnel competence is reflected in job
descriptions, CVs and training records.
These documents should be defined in regularly updated SOPs and verified during QA
audits.
There must be clear definitions of tasks and responsibilities: these are delineated in job
descriptions.
The contents of job descriptions should correspond to the qualifications as described in
the CV. In addition, these documents are:
Updated regularly, typically at a set interval of
a year (fixed by an SOP).
Usually signed by the person occupying the post and by
at least one appropriate member of management supervising the
post.
Rules of delegation should be defined at the test facility. Tasks can be delegated but the
final responsibility remains with the person who delegates the task.
A review of all job descriptions, annually or in the event of any reorganisation, helps
the facility management to ensure that their organisation is coherent.
Curriculum vitae - Cv
A procedure should ensure that CVs:
Exist for all personnel in a standard, approved
format.
Are maintained up-to-date.
Exist in required languages (local and sometimes English
for regulatory submissions).
Are carefully archived to ensure historical reconstruction.
Training
Finally, training records complement CVs and job descriptions. Job
competence depends largely on internal and external specialised training.
GLP explicitly requires that all personnel understand the importance of GLP and the
position of their own job within GLP activities. Training must be formally planned and
documented. New objectives and new activities always involve some training. Training
systems are usually SOP-based. A new SOP therefore requires new certification of the
personnel using it. Some organisations have training schemes linking training to
motivation, professional advancement and reward.
The training system should have elements common to all GLP management systems,
i.e. it is:
Formal.
Approved.
Documented to a standard format.
Described in a Standard Operating Procedure.
Possible to performan historical reconstruction of training
through the archived documents.
Study Director and the Multi-Site Situation
Special mention must be made of the important role of the Study Director. This person is
the single point of study control. He/she has the overall responsibility for the planning
and conduct of the study, the interpretation of the results and the authorship of the final
study report. This responsibility is expressed through the signature of the study plan or
protocol, the supervision of the study in progress and the signature of the final report.
18 The Study Director must include in the final report a GLP compliance statement
indicating the extent to which his/her study complies with the Principles of GLP.
When studies are performed on several sites, i.e. at the test facility (main site where
the Study Director is normally located) and at one or more test sites (where only certain
phases of the study are performed), the Study Director retains overall responsibility for
the study, including the phases delegated to test sites. The Study Director is responsible
for the protocol covering the whole of the study, including the delegated phases. On the
test sites the delegated phases are under the supervision and responsibility of a Principal
Investigator (PI). The PI reports to the Study Director and follows the protocol provided
by the Study Director. Any problems relating to the study phase under the control of the
PI must be communicated to the Study Director who will decide whether or not the
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Size
The area should be big enough to accommodate the number of staff working in it, and
allow them to carry on their work without risk of getting in one anothers way or of
mixing up different materials. Each operator should have a workstation sufficiently large
to enable him/her to carry out the operation efficiently. To reduce the chance of mix-up of
materials or of cross-contamination, there should also be a degree of physical separation
between the workstations
The pharmacy is a sensitive area, and access to such facilities should be restricted so as
to limit the possible contamination of one study or compound by another.
Construction
The zone must be built of materials that allow easy cleaning and that are not likely to
allow test materials to accumulate and contaminate one another. There should be a
ventilation system that provides air-flow away from the operator through filters which
both protect personnel and prevent cross-contamination. Most modern dose mix areas are
now designed in a box fashion, each box having an independent air system.
Arrangement
There should be separate areas for:
Storage of test items under different conditions.
Storage of control items.
Handling of volatile materials.
Weighing.
Mixing of different dose formulations, e.g. in the diet
or as solutions or suspensions.
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ANIMAL FACILITy
The facility should be designed and operated in order to minimise the effects of
environmental variables on the animal. Consideration should also be given to measures
which prevent the animal from coming into contact with disease, or with a test item other
than the one under investigation.
Requirements will differ depending upon the nature and duration of the studies being
performed. The risks of contamination can be reduced by a barrier system, where all
supplies, staff and services cross the barrier in a controlled way, as well as by providing
clean and dirty corridors for the movement of new and used supplies.
A well designed animal house would maintain separation by providing areas for:
Different species. Different studies.
Quarantine.
Changing rooms.
Receipt of materials. Storage;
- bedding and diet,
- test doses, -
cages.
Cleaning equipment.
Necropsy.
Laboratory procedures.
Utilities.
Waste disposal.
The building and its rooms should provide enough space for animals and studies to be
separated and to allow the operators to work efficiently.
The environment and control system should maintain the temperature, humidity and
airflow at the defined levels depending on the species concerned.
The surfaces of walls, doors, floors and ceilings should be constructed to allow for
easy and complete cleaning, and there should be no gaps or ledges where dirt and dust
can build up, or where water will collect, for instance on uneven floors.
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EquIPMENT
For the proper conduct of the study, appropriate equipment of adequate capacity must be
available. All equipment should be suitable for its intended use, and it should be properly
calibrated and maintained to ensure reliable and accurate performance. Records of repairs
and routine maintenance and of any non-routine work should be retained. Remember that
the purpose of these GLP requirements is to ensure the reliability of data generated and to
ensure that data are not invalidated or lost as a result of inaccurate, inadequate or faulty
equipment.
Suitability
Suitability can only be assessed by considering the tasks that the equipment is expected
to perform: there is no need to have a balance capable of weighing to decimals of a
milligram to obtain the weekly weight of a rat, but a balance of this precision may well
be required in the analytical laboratory. Deciding on the suitability of equipment is a
scientific responsibility and is usually defined in SOPs.
Calibration
All equipment, whether it is used to generate data (e.g. analytical equipment or balances),
or to maintain standard conditions (e.g. refrigerators or air conditioning equipment),
should work to fixed specifications. Proof that specifications are being met will generally
be furnished by periodic checking.
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23
ChaRaCTERisaTiOn
24
Each container should be clearly labelled with sufficient information for identification,
enabling the test facility to confirm its contents. Ideally, labels should contain the
following information:
Test item name.
Batch number.
Expiry date.
Storage conditions.
Container number.
Tare weight.
Initial gross weight.
The testing facility should have a procedure for handling and recording receipt of test
item. It is most important that the substance is logged in immediately to ensure complete
traceability and to demonstrate that it has not been held under conditions which might
compromise its chemical activity. The receipt procedure should include handling
instructions if the designated person is absent or if the container is damaged upon receipt.
The Study Director should be informed of the arrival of the test item.
Test facilitys documentation about the arrival of test item normally includes the
following information: Test item name.
Batch number(s).
Description of the test item on arrival at the
laboratory; which should be compared to the description
supplied by the sponsor. This ensures that any concern 25 about the identity of
the material can be sorted out at an early stage.
Container number,to allow identification of the container
in use.
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Container type.
Net weight of the contents and container tare weight.
Storage conditions and locationof the container.
Initials of the person receiving the container.
Date of arrival of the container at the laboratory.
Condition of goods on arrival.
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Disposal
At the end of a study, surplus amounts of test item should be disposed of in an
environmentally acceptable way. This final event must also be documented so that it is
possible to account for the totality of test item consumed.
checks on the purity of the test item. In most studies the test item is assumed to be
100% active ingredient, but if significantly less than this it will be necessary to adjust
the amounts to be weighed out (and to investigate the impact of impurities on the
validity of the study).
Concentration of the dose, amount or volume required. The
volume required will vary throughout the study with the animals
weights; the Study Director will keep this under review.
SOPs must exist for each procedure 27 in the
preparation of the formulation, its analysis, the
operation of all equipment and the way in which data will be collected.
Themethod of preparation of the dose form should be
tested prior to study start. This entails a trial preparation,
usually of at least the highest dose level, to confirm that the various procedures
detailed in the SOPs produce an acceptable formulation of the right concentration
and homogeneity.
This trial preparation may indicate the need for further
development of the method,for example experimentation with
other vehicles or different mixing techniques.
The stabilityof the dose form in the vehicle used must
also be assessed.
Following the trial preparation the SOP for the formulation may need amending.
The final container (and any intermediate containers) should be labelled to allow
identification. The container sent to the animal house should carry at least the following
information:
Study number.
Group number / sex (if relevant).
Weight of container and contents.
Date formulated.
Storage conditions.
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It may be useful to colour-code the label for each dose using the same colours as for
the cage labels.
Formulation Records
The following records are made of the formulation process:
Date.
Confirmation of test item identity.
Identity of formulation instruction ( request ).
Weight of empty container.
Weight of container + test item.
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Dosing
The purpose of the dosing procedure is to deliver the required amount of test formulation
to the required animal accurately and consistently. Therefore, the procedure adopted must
be very conscientiously carried out and the records should be capable of confirming that
all the animals were dosed with the correct volume and concentration.
Detailed records, with built in cross-references, document the fact that the dosing was
carried out correctly.
Staff must be well trained, both to ensure that the requisite amount is accurately
delivered and to assure the well being of the animals. In many countries the staff dosing
the animals must be licensed, or formally qualified in some similar way, under animal
welfare laws.
On arrival in the animal area the identity of the dose formulations should be checked.
Checks should also be made to ensure that the amount delivered is the same as the
amount issued from the formulation department and the same as the amount requested by
the Study Director. Staff should ensure that the container is still intact. The containers are
then kept under appropriate conditions (e.g. placed on a magnetic stirrer, on ice, etc.)
until dosing starts.
Dosing should proceed in a fixed order to minimise the possibility of cross-
30
contamination and confusion between animals, dose groups and different formulations.
Consequently, the following precautions are typical of those that most laboratories take
when dosing animals orally by gavage:
Animals are dosed group by group, usually working in
order of ascending dose levels.
Only one dose container is open at any time and
for each dose level there is a separate,
dedicated catheter and syringe.
All cages from one group should be identified before the
group is dosed, using the group number and label colour code as a
confirmatory check.
The container, catheter and syringe used for one group are
removed from the dosing station before a new group is dosed.
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The dose volume is calculated relative to body weight. It is good practice to prepare a
list giving the required volume for each weight to avoid the risk of calculation error
during the dosing operation.
Records should identify:
The staff involved in dosing.
The dose given to each animal.
The date and time of dosing.
The weight of each dose level container before and after
dosing. This allows you to compare, approximately, the amount
actually used with the amount theoretically needed. This verification is a means of
detecting gross dosing errors.
Test System
INTRODuCTION
Often test systems are animals, but they can also be plants, bacteria, organs, cells or even
analytical equipment. The GLP definition of a test system is therefore very
31
broad. In general, a test system is any system exposed to a test item during a
safety study. This section of the Handbook describes the situation when the test systems
are animals.
Housing conditions and the way animals are treated must satisfy the scientific needs of
the study and accommodate national animal welfare legislation. The WHO/TDR training
course has not been designed to cover these issues specifically, but reference is made to
husbandry since this impacts upon the laboratory and its procedures.
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FACILITIES
For each study, the Study Director and/or the animal care manager must ensure that
personnel, procedures, facilities and equipment are in place to fulfil the needs of the
study. In particular, it is important to purchase healthy animals and to prevent the spread
of disease by the separation techniques mentioned in the section on resources.
The quality of the animal, feed and bedding is of paramount importance for studies. It
is good practice to assess these factors by auditing the processes of the suppliers. Usually
the QA group and the person responsible for animal care will undertake this. Purchasers
should make sure that they get what they pay for and that no variables (e.g. pesticide
contamination, colony renewal, sickness, veterinary treatments, transport problems, etc.)
are compromising quality. Ideally, the test facility and the suppliers should consider each
other as partners in research. The suppliers should be experts in their field. They
usually appreciate constructive comment, will volunteer useful information, and can
make valuable suggestions to improve study quality in relation to their product. A
documented dialogue should be established and maintained with principal suppliers. The
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different suppliers should provide certificates of animal health, freedom from parasites,
nutritional food quality, contaminants in bedding etc.
Animal order forms, transport certificates and suppliers invoices are part of the raw
32 data. On arrival the animals will be inspected per SOP, i.e. they are counted, sexed, and
evaluated for general health and transport-induced stress. Paperwork (including a check
to verify that animals comply with age and weight specifications as defined in the
protocol) should then be completed and placed in the study file. The animals are then
transported to the study room and installed in clean cages with food and water ad libitum
according to the general SOPs on animal handling.
ACCLIMATISATION
For most studies the SOPs and the protocol require the animals to undergo a period of
acclimatisation during which their health status is evaluated and unsuitable individuals
are eliminated. The length of this acclimatisation period depends upon the species, the
supplier and the type of study.
Records of room preparation, animal receipt, husbandry, environmental conditions and
any other activity during this and the subsequent period should be maintained.
ANIMAL IDENTIFICATION
Identification of animals must be maintained throughout the study. Most laboratories use
a system of cage cards, which may be temporary before group assignment and may attain
permanent status afterwards; this should be done as described in the protocol or SOP. The
Animal Management Department should use the consecutive temporary numbers to
ensure animal accountability. Permanent cage-cards will often use a standard internal
colour code (the same as for dose formulations etc.). Animal numbers should be unique
within the study; they should appear on all data and specimens pertaining to the animal
throughout all phases of the study. When animals are assigned to groups, each individual
must be identified to prevent mix-ups. Subsequently, each time an animal is removed
from its cage SOPs should require an identity check of the animal. In many laboratories
the individual animal identification (for example the tattooed tail) is even included in the
wet tissue jar at the end of the study (after histological processing) and is archived with
the wet tissues. This is done to foster complete traceability.
ASSIGNMENT TO GROuPS
Animals must be assigned to groups before the dosing 33 period starts. If
animals are randomised, a copy of the statistical or random tables should be included in
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the raw data as should the table listing the temporary and permanent animal numbers.
Rack and cage locations should be recorded from this point onwards. Special attention
must be given to full recording any disqualification of animals during the acclimatisation
period. These data may indicate systematic problems with the supplier or the animal
type. Alarming or unexpected findings concerning the animal should be brought to the
suppliers notice. Such findings should be investigated and their impact evaluated.
HuSBANDRy
Routine (e.g. room, rack and cage cleaning/changing, feeding, watering, environmental
checks) and special (e.g. fasting) husbandry operations are carried out as per SOP and
should be recorded in the animal room logbook, or other appropriate system. Any
relevant observations made at this time (e.g. empty feeder, blood in litter, etc.) should be
documented and the Study Director notified as necessary.
Control and monitoring of environmental variables
Fundamental to our concern over animal care and the scientific impact of variables is the
requirement in the GLP Principles that the study report must include:
A description of all circumstances that may have affected the quality or integrity
of the data.
Awareness of such circumstances depends largely on the knowledge of the animals
physiological and behavioural needs, the processes defined in SOPs and, of course, the
training of scientific, technical and quality assurance staff. The diversity of factors that
may interfere with a study is so vast that only major variables can be covered here. There
is, however, substantial and helpful literature available on this subject.
Once SOPs are defined and approved for each experimental situation (length and type
of study, species), data are collected and evaluated regularly by the professional staff.
Excursions from the defined norm or unexpected events are documented and evaluated
for corrective action, for any possible effect on the study and subsequent consideration in
the final report.
In general, each variable is evaluated regarding:
Source
Examples: Variations in temperature or humidity are
often related to the Heating ventilation and Air Condition
(HVAC) systems and the presence and efficiency of
a back-upgenerator. Bedding contaminants are usually related to the
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Risk
Examples: Barrier procedures against incoming microbiological contamination are
more important for lifetime studies than for acute studies. Bedding/litter characteristics
and noise can be critical for teratology or blood pressure studies less so for other types.
Light-timer failure can be more critical for albino strains than for others. Water quality
concerns can be much greater with automatic watering systems than with bottles.
We can see that much of our risk evaluation is study, species or project specific; for
example, feed characteristics (particle size) can affect diet-admix quality, basal dietary
Vitamin A level may be critical in retinoid testing but not
for other familiesof test molecules. Likewise, bedding variations can
affect studies in many different ways because of the physical and chemical characteristics
of litter.
Monitoring
Examples: Cage rinse analyses, certificates of analysis for feed, water and bedding,
environmental chart recorders, manometers, air renewal measurements, insect pheromone
traps, etc.
Control
Examples: Light timers, barrier procedures, water and air filters, etc.
Both systematic and fortuitous detection of abnormal situations are recorded in the
data and their impact on the experimental results is evaluated by the Study Director. By
following this approach, systematic monitoring and control should preclude too many
undetected influences on the test system.
Finally, an historical database should be compiled of species-specific normal control
values (age/weight, mortality curves, haematology and biochemistry, selected
histopathological signs, teratology, spontaneous tumour type and incidence etc.) with
which control group parameters can be compared. Significant deviations from the norm
would then trigger review of animal care and environmental control data and procedures.
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General Points 35
The laboratory should have prescriptive documents to direct the conduct of
the scientific studies. The purpose of these is to:
State general policies, decisions and principles applied
at the institution.
Instruct staff about how to carry out operations within the
study.
Provide retrospective documentation of what was planned.
The document types fall into three main categories: Policy statements, Standard
Operating Procedures describing routine laboratory activities, and Study Plans or
Protocols, which detail how the work will be organised for each study. GLP attaches
particular importance to study plans and SOPs; these are discussed below.
Identification
Identification by a study number provides a means of uniquely identifying all laboratory
records which are connected to the study and of confirming the identity of all data
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generated during the conduct of the study. There are no set rules for the numbering
system used.
Names and addresses of the sponsor, the test facility and test site(s)
The sponsor and the test facility may or may not be the same organisation. The protocol
should indicate the location where the study is to be carried out and also the address of
any contract organisations or consultants you plan to use. In the case of multi-site studies,
all sites where work is to be performed must be identified in the study plan.
Proposed dates
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The proposed dates for the study are the expected start and finish dates (corresponding to
the date when the protocol is signed and the date when the report will be signed by the
Study Director). In addition it is a requirement to provide the experimental dates
corresponding to the dates when the first and last experimental data will be collected.
To help study personnel to perform their work, the protocol may include a more
detailed schedule, but this may be produced in a separate document.
Planned dates are notorious for slipping. Rules for changing dates, either
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by making protocol amendments, or by updating an independent project
planning system, should be defined in the SOP for protocol management.
Experimental design
Design will cover the following points:
Dosing details:
Dose levels.
Dosing route.
Frequency of dosing.
Vehicles used.
Method of preparation of the dose concentrations.
Storage conditions of the formulation.
Quality control.
Animal assignment to groups or randomisation.
Parameters to be examined and measured:
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These identify the measurements to be made and the frequency of measurements. They
will also detail any additions or planned modifications to the SOPs, and give complete
details of non-standard procedures or references to them.
N.B. Analytical methods are not usually included in detail in most protocols but will
be available as SOPs or Methods documents which are held in the analytical laboratory
together with the study data.
Statistical methods.
38 Data to be retainedafter the study.
Quality Assurance: Frequently the protocol outlines the
proposed QA programme but this is not mandatory.
PROTOCOL APPROvAL
A GLP study must not be started before the protocol is approved. This is done by dated
signature of the Study Director. It is good practice to review the draft protocol before the
study starts in order to assess its compliance with the GLP requirements; this review is
done by the QAU. It is also good practice (and incidentally mandatory in some countries)
that the Sponsor agrees the design of the study before it begins. Protocol approval should
be early enough before the study starts to ensure that all staff know their scheduled
duties. QA should receive a copy of the final, approved, study plan in order to allow them
to plan their audit/inspections.
If you do not allow sufficient time between finalising the protocol and starting the
study serious problems may well occur later in the study. Allow sufficient time to:
Produce the protocol.
Discuss its implications with staff concerned.
Circulate the protocol for QA review.
Circulate the protocol for approval.
Circulate the approved version to all staff involved
in the study.
Programme a study initiation meeting.
All staff involved in the study should have easy access to a copy of the protocol. In order
to ensure that everybody who should have a copy actually gets one, a distribution list is
usually drawn up. It is often worthwhile asking each recipient to sign a document when
they get their copy. It is good practice to hold a meeting with staff before the study starts
to ensure that everybody is cognisant of their role in the study.
PROTOCOL AMENDMENTS
Although the protocol is the document which directs the conduct of the study, it should
never be thought of as being immutable cast in tablets of stone. It is a
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document that can be amended to allow the Study Director to react to results or to
other factors during the course of the work. However, any change to the study design
must be justified and any modifications made using an agreed process, usually referred to
as a Change Control Procedure.
A protocol amendment must be issued to document a prospective change in the study
design or conduct. If a change in a procedure needs to be urgently instituted before a
formal protocol amendment can be generated, this must be recorded and a protocol
amendment is issued as soon as possible afterwards.
It is not acceptable practice to use the amendment to retrospectively authorise
omissions or errors that had occurred during the study. Such unplanned, one off,
occurrences should be documented in a file note as deviations and should reference the
relevant raw data.
The important elements of a protocol amendment are that:
The study being amended is clearly identified.
The amendment is uniquely numbered.
The reason for the amendment is clear and complete.
The section of the original protocol being amended is
clearly identified.
The new instruction is clear.
The amendment is issued to the same people as the
original protocol.
In practice, there are many adequate ways of amending a protocol. For example the
modified section of the protocol may be included in full in the protocol amendment.
Alternatively, the amendment may only comprise a description of how the protocol
section has been changed. As with the original protocol, the most important factor is that
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the staff who will carry out the amended procedure are instructed in the clearest way.
Once again, they must have adequate notice of all modifications. It is, therefore, vital that
they all receive the amendment and are made aware of its contents; otherwise the
instructions in the original protocol will still be followed.
As with the original protocol, the Study Director is the person who approves the
amendment and is responsible for issuing it. He/she is also responsible for ensuring that
the new instruction is rigorously respected. It is as essential to review an amendment for
GLP compliance as it is to review the protocol: this is a QA function. However, because
amendments are by their very nature extremely urgently required by Study staff, this
review is sometimes performed retrospectively.
The original signed protocol and all its amendments must be stored in the archives as
part of the study file. It is a good idea to archive the original protocol at the beginning of
the study and work from authorised photocopies.
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Standard Operating Procedures (SOPs)
A full set of good Standard Operating Procedures (SOPs) is a prerequisite for
successful GLP compliance. Setting up the SOP system is often seen as the most
important and most time-consuming compliance task.
Even without GLP regulations, classical quality assurance techniques, indeed good
management, require standardised, approved, written working procedures.
Remember the following quote based on an idea from Deming & Juran:
Use standards (here: SOPs) as the liberator that relegates the problems that have
already been solved to the field of routine, and leaves the creative faculties free for the
problems that are still unsolved.
The successful implementation of SOPs requires:
Sustained and enthusiastic support from all levels of
management, with commitment to establishing SOPs as an
essential element in the organisation and culture of the laboratory.
SOP-based education and training of personnel, so that
the procedures are performed in the same way by everyone.
A sound SOP management system to ensure that current SOPs
are available in the right place.
Total integration into the laboratorys system of master documentation (i.e. not a
separate system in potential conflict with memos or other means of conveying directives
to laboratory personnel).
Comprehensive coverage of:
allcritical phases of study design, management, conduct,
monitoring and reporting,
scientific administrative policies and procedures (e.g. formats,
safety and hygiene, security, personnel management systems, etc.),
standard scientific techniques, equipment, etc.
understanding. Staff must fully understand the SOPs they use and
follow them rigorously. If deviations occur, communication with the
Study Director and management should ensure respect of GLP
requirements and the credibility of the system.
Availability. SOPs should be immediately available to the person doing the work.
General Points
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
43
The laboratory should have descriptive documents which are records describing
what actually happened during the course of the experimentation. The records are the
qualitative and quantitative results of the study.
The Study Director uses the records as the basis for the scientific interpretation of the
study. This interpretation, as well as an accurate representation of the data, will be
incorporated into the final report of the study. The authorship of the final report is the
responsibility of the Study Director.
Finally, at study completion, all the documents, both prescriptive and descriptive, are
archived so that when necessary full study reconstruction will be possible through
examining the archived material.
Directly: Since the first written records are considered to constitute the raw data and
must be retained, records should not be made on scraps of paper and then transcribed into
a final form. When data are acquired directly by computer the raw data are considered to
be the electronic medium. For data derived from equipment, the raw data may be a direct
print out (or trace) or in an electronic form.
Promptly: Data must be recorded as the operation is done. It is not acceptable to make
the record some time after the task has been completed.
Accurately: This is most important as the accuracy underpins the scientific interpretation
and integrity of the study.
Legibly: Data that cannot be read are useless and records 45 that are difficult to
decipher raise doubts as to their credibility.
Indelibly: One of the original problems that gave rise to GLP was that data had been
recorded in pencil and were subject to subsequent changes without this being evident.
Use indelible and waterproof ink; ballpoint pens are well suited for the purpose. Check
the robustness of machine-print outs. Some print disappears quickly (or become totally
black) as is the case with light-sensitive print-outs from thermo-printers. In this case, take
an authorised (signed and dated) photocopy for storage.
Signed: Accountability is one of the basic tenets of GLP, hence the need for a record of
who did every job on a study.
Dated: The date of each signature demonstrates that the procedure was conducted and
recorded at the correct point in the study.
Reasons for corrections: Records may require alteration from time to time, but a clear
audit trail is needed showing why a change was carried out, when and by whom.
Data should be recorded and organised in a way that facilitates both the making of the
record and the performance of subsequent processes (e.g. data entry, reporting, audit,
archiving). Data should be recorded in a logical way, and duplication should be avoided
wherever possible. Pro-forma documents assist in this by encouraging staff to record all
the data required, without forgetting any. A clear structure for the study file, defined
upfront, helps you to organise and archive the documents as they are produced in real-
time, preventing loss and facilitating reference between records.
increased the efficiency of study performance and the reliability of data. However, under
GLP it is important to demonstrate that such systems are performing correctly,
precluding, for instance, the risk of data loss or corruption. This demonstration is called
validation and the OECD has recognised the importance of this work by the publication
of a specific guideline on this subject (The Application of The Principles of GLP to
Computerised Systems) appended to this Handbook and discussed in the training
manuals.
The study report, just like all other aspects of the study, is the responsibility of the
Study Director. He/she must ensure that the contents of the report describe the study
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
accurately. The Study Director is also responsible for the scientific interpretation of the
results. Finally, the Study Director must indicate in a GLP compliance statement whether
or not the study was conducted in compliance with GLP.
The report should fully and accurately reflect the raw data...
This means that everything which happened during the study should be reported, but
does not necessarily mean that every, single item of raw data must be included in the
report. The report should, however, allow the reader to follow the course of the
experiment and the interpretation of the data without the need to refer to other material
not included. In practice, therefore, most of the individual data is included, more
importantly the report should not be a selection of the highlights of the study leaving
out the parts that did not work or where restarts were needed for one reason or another.
47
The report should certainly include any aspects where the study conduct deviated from
that laid down in the protocol or SOPs, whether this is considered to have impacted on
the study integrity or not.
The report may include input from experts other than the Study Director, such as
specialists within the laboratory or from outside, consultants or Sponsor. These may be
included and signed by those specialists. Data supplied from outside sources should
comply with GLP. If this is not the case then this should be identified in the Study
Directors statement.
GLP requires the Study Director to include a statement in the report accepting
responsibility for the validity of the data and confirming that the study conformed to GLP
principles.
After the report has been drafted it will pass through a review stage and a QA audit.
During this, modifications may be made to the report, but it is important to remember
that any alterations made must be agreed and accepted by the Study Director. The process
of review and approval is designed to ensure that the report, when finalised, is unlikely to
require modification: after finalisation this can only be achieved by writing a formal
amendment, approved and signed by the Study Director, which identifies the changes
made with a reason for each.
Chapter 1 Introduction to the WHO/TDR Handbook
on GLP GLP HANDBOOK
Function
Modern Archives have functions hat go beyond simple storage; they provide:
A centralised, secure repository for the storage and retrieval
of original scientific data, master documents and reports.
A means of controlling and documenting distribution and
modifications of holdings for reasons of both accuracy and
confidentiality.
An efficient organisational tool for preparing project
summary documentation (DMF, IND, CTC, NDA, investigator
brochures, etc.) made possible by a formal filing system and cross-indexation.
A unique repository for all project related work facilitating
the quick and complete retrieval needed for historical
reconstruction in case of scientific or product related reasons or internal or external
audit.
WHAT is archived?
All study data, both raw data and derived data.
Supporting data (e.g. records of environmental conditions,
maintenance records,training records).
Study plan and amendments.
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
Term of storage
The retention period is stated in national GLP regulations. Often,
however, because reports are submitted to several authorities at
different times or may be needed for other purposes, the period of
retention may exceed these. Each event of archive destruction must,
therefore, be treated on a case by case basis.
This policy reflects the varying retention schedules required by
different GLP/GCP/ GMP texts, coupled with the possible internal
Chapter 1 Introduction to the WHO/TDR Handbook
on GLP GLP HANDBOOK
Indexing
As rapid retrieval may be necessary, it is good practice to impose a rigorous system of
indexing archived material. This is often computerised and provides complete and quick
retrieval starting from any one of the indexed parameters. For example, all study or lot
specific materials are given a unique holding number which corresponds to a specific
location. Facility specific material is filed using common-sense (i.e. chronologically,
alphabetically).
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
GLP defines the minimum quality assurance requirements necessary to ensure the
integrity of the study and thus the validity of experimental results. The Quality Assurance
Unit (referred to as the QAU, or, more often, simply as Quality Assurance QA) is part of
this quality assurance process. QAs mandated role is that of an independent witness to
the whole preclinical research process and its organisation. In particular, QA assures
management that studies are performed in compliance with GLP.
The role of QA as facilitator and consultant during the establishment of quality
systems is understood, at least implicitly, in most laboratories. However, with respect to
the GLP regulations the role of the QAU is that of an independent control service.
In this capacity, QA must review all phases of non- 51 clinical studies. This
means that QA will audit/inspect the planning activities of the laboratory, the activities
while studies are on-going, and the reporting and archiving activities when the live
phases of the study have been completed.
To be effective QA must have access to staff, documents and procedures at all levels of
the organisation, and be supported by a committed top management.
and opens the archive file. QA receives and maintains a copy of all protocols with any
subsequent amendments.
QA needs the study plans, which must be provided by the Study Directors, to plan its
own study monitoring and inspection activities.
SOP Review
Management has the responsibility of assuring that SOPs are generated, distributed,
maintained and retained. Management is responsible for both the scientific content of
SOPs and for their compliance with GLP.
Usually QA has the responsibility of reviewing SOPs; it is a recommendation of the
OECD, but not mandatory in the OECD consensus document on QA and GLP. In those
laboratories where QA signs the SOPs it is to indicate that the SOP is GLP compliant,
complete, clear and not in conflict with other SOPs that exist at the research site: signing
the SOP is not a mandatory duty of QA, indeed some authorities are opposed to this.
Study-based inspections/audits.
Facility/Systems-based inspections/audits.
Process-based inspections/audits.
Typically, management also requests QA to inspect contractors and suppliers.
Inspections/audits
Some general points:
The auditor should be well prepared for the audit. Usually
this means reviewing the protocol, applicable SOPs and past
inspections beforehand.
The inspector/auditor must follow all rules (such as safety,
hygiene and access) which are applicable to other personnel. They must not
disrupt the work in progress.
The inspector/auditor must allow sufficient time for the
inspection.
Checklists may be used if considered necessary.
Adherence to a checklist is no guarantee of
completeness but it is useful for training and as a memory aide. Checklists may also
enable management to approve QA methods and coverage, and provide technical staff
with a means of self verification. Checklists are usually established formally and are
updated as needed. However strict adherence to a checklist during an audit may
engender the risk of missing unexpected findings.
Logically, and out of consideration for study staff, at
the close of the audit, or at 53 least before
a report is generated, the auditor should discuss all problems with the persons
audited. Any major error (e.g. dosing error, animal ID) should, obviously, be pointed
out immediately without waiting for the end of the audit.
Thefindings of each audit should be written up in
an audit report. This is issued to the Study Director
and any other manager concerned.
Audit comments in reports should be clear and specific.
They should be constructive. It is good practice for experienced
auditors to suggest solutions to problems seen during audits where this is possible.
The audit report is also issued to facility management, usually
after responses from the Study Director have been obtained.
Chapter 1 Introduction to the WHO/TDR Handbook
on GLP GLP HANDBOOK
Study-based inspections/audits
Study based inspections target specific critical phases of the study. Determining what is
critical to a study is an important part of QA work. It can seldom be done alone because it
usually requires input from scientific specialists, the Study Director for example. Many
QA groups use Risk Analysis techniques to assist them in identifying what the critical
phases are. All the techniques used by QA should be explained in their SOPs.
Study-based inspections/audits are reported to the Study Director who responds to
each finding with an action plan to correct or improve the studys compliance.
Facility or system-based inspections/audits
These are performed independently of studies. Frequency should be justifiable in terms
of efficiency vs. use of resources. The results of a facility or system-based audit are
reported to the appropriate manager at the test facility rather than to a Study Director.
The followup procedure will, however, be exactly the same as for a study specific
inspection. facility or system-based inspections typically cover such areas as:
Personnel records.
Archives.
Animal receipt.
Cleaning.
54 Computer operations and security.
Access and security.
SOP management.
Utilitiessupply (water, electricity).
Metrology.
Process-based inspections
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
Process-based inspections are also performed independently of specific studies. They are
conducted to monitor procedures or processes of a repetitive nature. The frequency of
process-based inspections is justified by efficiency and use of resources. These
processbased inspections are performed because it is considered inefficient or
inappropriate to conduct study-based inspections on repetitive phases. It is worth noting
that the OECD, at least, recognises that the performance of process-based inspections
covering phases which occur with a very high frequency may result in some studies not
being inspected on an individual basis during their experimental phases. Other useful
process-based inspections are those that focus on cross-organisational processes for
example, the transfer of test samples from the animal facilities to the bio-analysis
laboratory.
The QA statement that is placed in the report provides the dates on which the study was
audited/inspected and the dates the findings were reported to the Study Director and
Management. As recommended by the OECD, the QA statement also includes the study
phases inspected.
The QA statement is not a GLP compliance statement. The Study Director provides the
statement that the study has been conducted in compliance with the applicable principles
of GLP.
However, the recommendations of the OECD with regard to the QA statement should
be remembered:
It is recommended that the QA statement only be completed if the Study Directors
claim to GLP compliance can be supported. The QA statement should indicate that the
study report accurately reflects the study data. It remains the Study Directors
responsibility to ensure that any areas of non-compliance with the GLP principles are
identified in the final report.
In this way, the signed QA statement becomes a sort of release document and assures
that:
The study report is complete and accurately reflects the
conduct and data of the study.
The study was performed to GLP.
That all audit findings have been satisfactorily resolved.
That the Study Directors claim to GLP compliance is
correct.
QA Inspections of Suppliers and Contractors
Most QA organisations also inspect/audit suppliers of major materials (animals, feed,
etc.).
QA may also inspect contract facilities before contracting out work. This applies
whether the work concerned is a whole study, or a part of a study (e.g. analytical work).
QA may also be involved in the selection of GLP compliant test sites when a study is a
multi-site study.
For pivotal studies, QA may programme periodic visits to the contract facility to
ensure that the contractor is in compliance throughout the duration of the study and/or
audits the final report independently.
When studies are performed at several sites, i.e. at the test facility (main site where the
Study Director is normally located) and at one or more test sites (where only certain
phases of the study are performed) the QA roles are organised to ensure complete
coverage of the study. To perform the QA duties, a Lead QA is appointed by the Test
Facility Manager (Lead QA is usually at the site where the Study Director is found). At
the other site(s) a QAU will undertake the QA responsibilities for those phases of the
study being conducted at the Test Site concerned.
It is important to make certain that the Study Director is well informed of all the
findings relating to his/her study whether they concern the parts of the study at the Test
Facility or the phases at the Test Site. It is indispensable to set up communication
channels between the Study Director (at the test Facility), the Principal Investigator (at
the Test Site), Lead QA and Test Site QA so that no findings go unreported and so that all
phases of the study are adequately monitored. Such communication channels should be
operative before the start of the study and each actor should be well aware of his/her role
within the overall organisation of the study.
57
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
Chapter 1 Introduction to the WHO/TDR Handbook
on GLP GLP HANDBOOK
3 . sTEpWisE
implEmEnTaTiOn OF Glp
inTRODUCTiOn
Once management has appointed a Project Team, the team should draw up a list of steps
to be achieved within an agreed timeframe. It is unwise to be too ambitious when setting
60
GLP HANDBOOK Chapter 1 Introduction to the
WHO/TDR Handbook on GLP
the overall time allotted to implement GLP as thimay disrupt the regular work of the
organisation. Experience shows that allowing 24 months for implementation is
reasonable. However, it is possible to do some tasks in parallel, and overlapping some of
these could reduce the implementation time to 18 months. A 24-month schedule will
allow staff to continue their other work, albeit at a slightly reduced pace, and yet will
require that momentum be maintained.
The momentum may be maintained by setting up the main, high-level steps, for the
project and identifying individual tasks within each step. Each task should be assigned to
a designated responsible person and given a deadline for completion. In addition to the
person responsible for the task in question, it is advisable to appoint a second person (not
necessarily senior to the first) who will critically review the work of the first person. This
process of verification throughout the life of the project assures timely completion of
each task, helps encourage harmonisation, and co-ordinate implementation.
The Project Team should meet regularly (usually monthly) to review progress.
Someone well versed in GLP should manage the Project Team. This person should be
appointed by, and report directly to, upper management. In addition to a scientific profile,
the project manager must have excellent management, communication and diplomatic
skills. If the necessary skills do not appear to be available from within the organisation, it
would be appropriate to request aid from external sources.
Table I describes the stages and milestones for completing GLP implementation
Chapter 3 Step-Wise Implementation of GLP GLP
HANDBOOK
finds solutions.
No Stage Description
Table II shows a typical GLP implementation roll-out over a 24-month period. The
assumption is that the laboratory in question has no GLP systems or documentation in
place at the start, as shown by gap analysis. The stepwise process is designed to tackle
the implementation in a structured way so that progress is evident and steps build upon
one another. The early successes in implementation of relatively simple systems (such as
the system for personnel documents) will encourage 63 personnel to continue
with more difficult parts of the process. The Project Team will construct a very detailed
Project task Table ( model shown in table III) on the basis of the steps shown below.
1.2 Construct an organisational chart Ensure that the chart is signed and dated by
for the organisation. management.
Ensure that the persons responsible for the
studies (future Study Directors) and those
responsible for the Quality Assurance Unit,
are independent from each other.
1.3 Management appoints: Management drafts formal memos of
Study Directors. appointment in all cases, underlining the role
Quality Assurance to be played by each group of staff and the
personnel. significance of each role for GLP
Archivist. compliance.
1.4 Prepare standard formats for Obtain management agreement for the personnel
documents. formats.
Curricula vitae.
Job descriptions.
Training records.
Step Content Comments
2.2 Train Study Directors for their External courses exist for this training, but if
special Roles and responsibilities there are many staff to be trained it is worth
in GLP. considering internal training courses (2-3
days).
2.3 Write an SOP on the workflow Do not forget to include QA review in the
(writing, review, approval, circuit of protocol review.
amendment, distribution and
archiving) of protocols.
GLP HANDBOOK Chapter 3 Step-Wise Implementation of
GLP
2.6 Write an SOP on the workflow Do not forget to include QA review in the
(writing, review, approval, circuit of report production. amendment,
distribution and archiving) of reports.
TABLE II Part 3 (6 months)
Step Content Comments
3.1 Agrees on a system between all The identification numbers will be used later
interested parties regarding the when acquiring raw data and to ensure
identification of the equipment
and instruments. traceability to operations such as calibration
Writean SOP and maintenance.
66
explaining the
system used for the
identification of equipment
and instruments.
Chapter 3 Step-Wise Implementation of GLP GLP
HANDBOOK
3.7 Consider which large scale At facilities where animals are used in
equipment or installations need to nonclinical studies, it is usual to qualify the
be formally qualified. Heating Ventilation Air Condition
(Qualification means (HVAC) systems in animal
rooms.
collecting documentation for Equally, in microbiology laboratories,
the installation and testing of the laminar flow systems may also need
the equipment to prove that it qualifying.
functions according to Other installations may require qualification.
specification).
3.8 Qualify the systems chosen for Specialised contractors can be used to
qualification. qualify systems, but in small units it is
practical and cost effective to do this
oneself.
Step Content Comments
67
3.9 Decide which Qualification work needs a formal
maintenance or qualification protocol and a formal report
after completion. It is time and resource
qualification operations require consuming
external contracts.
If there are many systems requiring
Sign contracts with contractors. qualification, or if the systems are complex, it
The contract should contain a is not reasonable to expect the qualification to
documentation plan to ensure be completed in the 6-month period of this
traceability of the contract work.
stage; it will take much longer.
TABLE II Part 4 (2 months)
Step Content Comments
4.1 Establish a Quality Assurance In small organisations this unit may only
Unit consist of one person.
Upper management should issue a formal
memo to define the roles and responsibilities
of QA and the reporting line.
This is well explained in the OECD
Principles of GLP and in the OECD
Consensus document on QA &GLP.
Chapter 3 Step-Wise Implementation of GLP GLP
HANDBOOK
4.2 Train the QAU personnel audit/ External training programmes exist in these
inspection techniques. techniques. Pick a course which is
68 specifically oriented to GLP. The course will
be a 2-3 day session.
4.3 Write the QA programme based on the 3 inspection approaches described by
OECD GLP.
Implement QA inspections/ audits and start the process of reporting to Study Directors
and management.
Step Content Comments
5.1 Define rules for the receipt, Remember that all test items need to be
identification, handling and uniquely identified and characterised.
storage of all test items, reagents With regard to the handling of test items and
and reference items. other chemicals, consider safety issues and
issues relating to the stability of the items
and the need to ensure that there is no cross
contamination between items.
5.2 Most laboratories fix rules regarding the
Establish how to determine the
shelf life of reagents and dates written on bottles of common reagents.
reference items. This is based on the date indicated by the
Write SOPs for the labelling manufacturer in combination with the actual
of all test items, solutions and date of opening the container.
reagents and reference items.
5.3 Define rules and write SOPs for Although each formulation will be prepared
the preparation of solutions etc. in its own way, the SOPs should clearly
describe the way in which the preparation is
used for dose formulations. documented, the tests necessary (e.g.
homogeneity tests, stability tests or others)
and the manner in which the formulations
69
will be kept and distributed to their point of
use.
TABLE II Part 5 (2 months)
5.4 Define rules for the receipt, must be respected. All animals must be
identification, handling, identified
quarantine and husbandry of all In the case where test systems are not whole
test systems animals, definitions concerning the
If the test system is an animal the local characterisation of the system (cell line,
laws on care and welfare of animals bacterial expression, genotyping etc.) should
be established.
TABLE II Part 6 (2 months)
70
GLP HANDBOOK Chapter 3 Step-Wise Implementation of
GLP
7.3 Write an SOP for the validation For very complex systems it may be worth
process and its generic documents. seeking external help in the validation
Write formal validation protocols for the process.It is helpful to
appoint a Validation
systems requiring validation. Team to be responsible for the
validation for each system selected.
QA and IT personnel may assist in writing
the protocol, but the responsibility lies
with the system 71
owner.
The supplier or vendor of the system may
be prepared to supply a template protocol
for the system you have acquired.
Remember to include validation tests to
ensure that the back-up systems function
and that access security (e.g. by password)
is adequate.
7.4 Conduct the validation testing Remember that final responsibility lies with
following the validation the user who should ensure that systems that
protocols. he/she uses are validated. Hence, the user
should perform the bulk of the validation
protocol.
7.5 Write formal validation reports These should be signed off by the person(s)
for the validated systems. responsible for the systems and reviewed by
QA.
7.6 Formally train all staff in the use Keep records of the training programme.
of the computer systems they Add training to the records of all individuals.
need.
7.7 Write SOPs for the use
and maintenance of the
computerised systems.
7.8 Proceed to a formal release Specialised contractors can be used to
for use of the system once qualify systems, but in small units it is
validation and training are practical and cost effective to do this
completed, and the system SOPs oneself.
have been approved.
GLP HANDBOOK Chapter 3 Step-Wise Implementation of
GLP
7.9 Define the organisational rules It is usual to have a centrally organised unit
for access rights and passwords (normally within the IT department)
and write SOP for this process. responsible for establishing and issuing
access rights. Passwords should be of a
defined length and should be changed at a
72 defined
frequency.
The project is articulated around the development of a Project Task Table. This is a very
detailed table of the tasks identified (such as those above) to bring the organisation to the
level of GLP compliance. It is subsequently used as the basis for follow-up during project
team meetings. The extract below is an illustrative (and obviously very incomplete)
example of the kind of table that should be drawn up.
TABLE III Project task table for GLP implementation
Person Follow-up
Task Due Status
responsible by
At the start of the project all tasks have the status Awaited. As the tasks are completed
the status is revised. A spreadsheet is an appropriate medium to use for this table.
It is unlikely that the table will contain all tasks from the outset. It will require
modifications and additions as the project progresses. The project team is responsible for
maintaining the table. The table is always presented at the regular project team meetings.
For a laboratory that has never implemented a quality management system, the project
task table is likely to run to 20-25 pages.
annEXEs
75
77
Unclassified ENV/MC/CHEM(98
Organisation de Coopration et de Dveloppement Economiques OLIS : 21-Jan- 19
Organisation for Economic Co-operation and Development Dist.: 26-Jan- 19
Or. Eng.
ENVIRONMENT DIRECTORATE
CHEMICALS GROUP AND MANAGEMENT COMMITTEE
ENV/MC/CHEM(98)17
OECD SERIES ON PRINCIPLES OF GOOD LABORATORY PRACTICE
AND COMPLIANCE MONITORING
OECD Principles on Good Laboratory Practice
Number 1
No. 1
78
OECD Principles of Good Laboratory Practice
61011
Document complet disponible sur OLIS dans son format dorigine
Complete document available on OLIS in its original format
Environment Directorate
Paris 1998
annex i OECD principles of GLP GLP HANDBOOK
No. 2, Revised Guides for Compliance Monitoring Procedures for Good Laboratory
Practice (1995)
No. 8, The Role and Responsibilities of the Study Director in GLP Studies (1993)
No. 11, The Role and Responsibilities of the Sponsor in the Application of the Principles of
GLP
OECD 1998
Applications for permission to reproduce or translate all or part of this material should be made to: Head of Publications Service,
OECD, 2 rue Andr-Pascal, 75775 Paris Cedex 16, France.
abOUT ThE OECD
This publication is available electronically, at no charge.
This publication was produced within the framework of the Inter-Organization Programme for the Sound Management of
Chemicals (IOMC). Fax: (33-1) 45 24 16 75
E-mail: [email protected]
82 The Inter-Organization Programme for the Sound Management of Chemicals (IOMC) was established in 1995 by
UNEP, ILO, FAO, WHO, UNIDO and the OECD (the Participating Organizations), following recommendations
made by the 1992 UN Conference on Environment and Development to strengthen co-operation and increase
international coordination in the field of chemical safety. UNITAR joined the IOMC in 1997 to become the seventh
Participating Organization. The purpose of the IOMC is to promote co-ordination of the policies and activities pursued
by the Participating Organizations, jointly or separately, to achieve the sound management of chemicals in relation to
human health and the environment.
FOREWORD
Chemicals control legislation in OECD Member countries is founded in a proactive philosophy of preventing risk by testing and
assessing chemicals to determine their potential hazards. The requirement that evaluations of chemicals be based on safety test data
of sufficient quality, rigour and reproducibility is a basic principle in this legislation. The Principles of Good Laboratory Practice
(GLP) have been developed to promote the quality and validity of test data used for determining the safety of chemicals and
chemicals products. It is a managerial concept covering the organisational process and the conditions under which laboratory studies
are planned, performed, monitored, recorded and reported. Its principles are required to be followed by test facilities carrying out
studies to be submitted to national authorities for the purposes of assessment of chemicals and other uses relating to the protection of
man and the environment.
The issue of data quality has an important international 83 dimension. If regulatory authorities in countries can rely on
safety test data developed abroad, duplicative testing can be avoided and costs saved to government and industry. Moreover, common
principles for GLP facilitate the exchange of information and prevent the emergence of non-tariff barriers to trade, while contributing
to the protection of human health and the environment.
The OECD Principles of Good Laboratory Practice were first developed by an Expert Group on GLP established in 1978 under
the Special Programme on the Control of Chemicals. The GLP regulations for non-clinical laboratory studies published by the US
Food and Drug Administration in 1976 provided the basis for the work of the Expert Group, which was led by the United States and
comprised experts from the following countries and organisations: Australia, Austria, Belgium, Canada, Denmark, France, the
Federal Republic of Germany, Greece, Italy, Japan, the Netherlands, New Zealand, Norway, Sweden, Switzerland, the United
Kingdom, the United States, the Commission of the European Communities, the World Health Organisation and the International
Organisation for Standardisation.
Those Principles of GLP were formally recommended for use in Member countries by the OECD Council in 1981. They were
set out (in Annex II) as an integral part of the Council Decision on Mutual Acceptance of Data in the Assessment of Chemicals,
which states that data generated in the testing of chemicals in an OECD Member country in accordance with OECD Test
Guidelines* and OECD Principles of Good Laboratory Practice shall be accepted in other Member countries for purposes of
assessment and other uses relating to the protection of man and the environment [C(81)30(Final)].
After a decade and half of use, Member countries considered that there was a need to review and update the Principles of GLP
to account for scientific and technical progress in the field of safety testing and the fact that safety testing was currently required in
many more areas than was the case at the end of the 1970s. On the proposal of the Joint Meeting of the Chemicals Group and
Management Committee of the Special Programme on the Control of Chemicals, another Expert Group was therefore established in
1995 to develop a proposal to revise the Principles of GLP. The Expert Group, which completed its work
* OECD Guidelines for the Testing of Chemicals, 1981 and continuing series.
in 1996, was led by Germany and comprised experts from Australia, Austria, Belgium, Canada, the Czech Republic, Denmark,
Finland, France, Germany, Greece, Hungary, Ireland, Italy, Japan, Korea, the Netherlands, Norway, Poland, Portugal, the Slovak
Republic, Spain, Sweden, Switzerland, the United Kingdom, the United States and the International Organisation for Standardisation.
The Revised OECD Principles of GLP were reviewed in the relevant policy bodies of the Organisation and were adopted by
Council on 26th November, 1997 [C(97)186/Final], which formally amended Annex II of the 1981 Council Decision. This
publication, the first in the OECD series on Principles of Good Laboratory Practice and Compliance Monitoring, contains the
Principles of GLP as revised in 1997 and, in Part Two, the three OECD Council Acts related to the Mutual Acceptance of Data.
84
SECTION I INTRODuCTION . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 87
Preface . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 87
Scope . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 87
Definitions of Terms . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 88
85
2.1 Good Laboratory Practice . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
. . . . . . . . 88
2.2 Terms Concerning the Organisation of a Test Facility . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 88
Terms Concerning the Non-Clinical Health and Environmental Safety Study . . . . . . . . . . . . . 89
Terms Concerning the Test Item . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 90
Facilities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 95
General . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 95
Test System Facilities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 95
Facilities for Handling Test and Reference Items . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 95
Archive Facilities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 96
Waste Disposal . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 96
Decision of the Council concerning the Mutual Acceptance of Data in the Assessment of Chemicals [C(81)30(Final] . . . . . .
. . . . . . . . . . . . . . . . . . . . . . . . . . . . . 105
PART ONE:
SECTION I : INTRODUCTION
Preface
Government and industry are concerned about the 87 quality of non-clinical health and environmental safety studies
upon which hazard assessments are based. As a consequence, OECD Member countries have established criteria for the
performance of these studies.
To avoid different schemes of implementation that could impede international trade in chemicals, OECD Member countries have
pursued international harmonisation of test methods and good laboratory practice. In 1979 and 1980, an international group of experts
established under the Special Programme on the Control of Chemicals developed the OECD Principles of Good Laboratory Practice
(GLP), utilising common managerial and scientific practices and experience from various national and international sources. These
Principles of GLP were adopted by the OECD Council in 1981, as an Annex to the Council Decision on the Mutual Acceptance of Data
in the Assessment of Chemicals [C(81)30(Final)].
In 1995 and 1996, a new group of experts was formed to revise and update the Principles. The current document is the result of
the consensus reached by that group. It cancels and replaces the original Principles adopted in 1981.
The purpose of these Principles of Good Laboratory Practice is to promote the development of quality test data. Comparable
quality of test data forms the basis for the mutual acceptance of data among countries. If individual countries can confidently rely on
test data developed in other countries, duplicative testing can be avoided, thereby saving time and resources. The application of these
Principles should help to avoid the creation of technical barriers to trade, and further improve the protection of human health and the
environment.
1. Scope
These Principles of Good Laboratory Practice should be applied to the non-clinical safety testing of test items contained in
pharmaceutical products, pesticide products, cosmetic products, veterinary drugs as
* The OECD Principles of Good Laboratory Practice are contained in Annex II of the Decision of the Council concerning the Mutual Acceptance of Data in
the Assessment of Chemicals [C(81)30(Final)] (See Part Two of this document for the text of that Council Decision). The 1981 Council Decision was
amended in 1997, at which time Annex II was replaced by the revised Principles of GLP [C(97)186/Final].
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well as food additives, feed additives, and industrial chemicals. These test items are frequently synthetic chemicals, but may be of
natural or biological origin and, in some circumstances, may be living organisms. The purpose of testing these test items is to obtain
data on their properties and/or their safety with respect to human health and/or the environment.
Non-clinical health and environmental safety studies covered by the Principles of Good Laboratory Practice include work
conducted in the laboratory, in greenhouses, and in the field.
Unless specifically exempted by national legislation, these Principles of Good Laboratory Practice apply to all non-clinical health
and environmental safety studies required by regulations for the purpose of registering or licensing pharmaceuticals, pesticides, food
and feed additives, cosmetic products, veterinary drug products and similar products, and for the regulation of industrial chemicals.
88 2. Definitions of Terms
1. Good Laboratory Practice (GLP) is a quality system concerned with the organisational process and the conditions under
which non-clinical health and environmental safety studies are planned, performed, monitored, recorded, archived and
reported.
1. Test facility means the persons, premises and operational unit(s) that are necessary for conducting the non-clinical
health and environmental safety study. For multi-site studies, those which are conducted at more than one site, the test
facility comprises the site at which the Study Director is located and all individual test sites, which individually or
collectively can be considered to be test facilities.
3. Test facility management means the person(s) who has the authority and formal responsibility for the organisation and
functioning of the test facility according to these Principles of Good Laboratory Practice.
4. Test site management (if appointed) means the person(s) responsible for ensuring that the phase(s) of the study, for
which he is responsible, are conducted according to these Principles of Good Laboratory Practice.
5. Sponsor means an entity which commissions, supports and/or submits a non-clinical health and environmental safety
study.
6. Study Director means the individual responsible for the overall conduct of the nonclinical health and environmental
safety study.
7. Principal Investigator means an individual who, for a multi-site study, acts on behalf of the Study Director and has
defined responsibility for delegated phases of the study. The Study
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Directors responsibility for the overall conduct of the study cannot be delegated to the Principal Investigator(s); this
includes approval of the study plan and its amendments, approval of the final report, and ensuring that all applicable
Principles of Good Laboratory Practice are followed.
8. Quality Assurance Programme means a defined system, including personnel, which is independent of study conduct
and is designed to assure test facility management of compliance with these Principles of Good Laboratory Practice.
9. Standard Operating Procedures (SOPs) means documented procedures which describe how to perform tests or activities normally
not specified in detail in study plans or test guidelines. 89
10. Master schedule means a compilation of information to assist in the assessment of workload and for the tracking of studies at a test
facility.
2.3 Terms Concerning the Non-Clinical Health and Environmental Safety Study
1. Non-clinical health and environmental safety study, henceforth referred to simply as study, means an experiment or
set of experiments in which a test item is examined under laboratory conditions or in the environment to obtain data on
its properties and/or its safety, intended for submission to appropriate regulatory authorities.
2. Short-term study means a study of short duration with widely used, routine techniques.
3. Study plan means a document which defines the objectives and experimental design for the conduct of the study, and
includes any amendments.
4. Study plan amendment means an intended change to the study plan after the study initiation date.
5. Study plan deviation means an unintended departure from the study plan after the study initiation date.
6. Test system means any biological, chemical or physical system or a combination thereof used in a study.
7. Raw data means all original test facility records and documentation, or verified copies thereof, which are the result of
the original observations and activities in a study. Raw data also may include, for example, photographs, microfilm or
microfiche copies, computer readable media, dictated observations, recorded data from automated instruments, or any
other data storage medium that has been recognised as capable of providing secure storage of information for a time
period as stated in section 10, below.
8. Specimen means any material derived from a test system for examination, analysis, or retention.
9. Experimental starting date means the date on which the first study specific data are collected.
10. Experimental completion date means the last date on which data are collected from the study.
11. Study initiation date means the date the Study Director signs the study plan.
12. Study completion date means the date the Study Director signs the final report.
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2. Reference item (control item) means any article used to provide a basis for comparison with the test item.
3. Batch means a specific quantity or lot of a test item or reference item produced during a defined cycle of manufacture
in such a way that it could be expected to be of a uniform character and should be designated as such.
4. Vehicle means any agent which serves as a carrier used to mix, disperse, or solubilise the test item or reference item to
facilitate the administration/application to the test system.
SECTION II
GOOD LABORATORY PRACTICE PRINCIPLES
Each test facility management should ensure that these Principles of Good Laboratory Practice are complied with, in its test facility.
At a minimum it should:
) ensure that a statement exists which identifies the individual(s) within a test facility who fulfil the responsibilities of management as
defined by these Principles of Good Laboratory Practice;
b) ensure that a sufficient number of qualified personnel, appropriate facilities, equipment, and materials are available for the timely and
proper conduct of the study;
) ensure the maintenance of a record of the qualifications, training, experience and job description for each professional and technical
individual;
d) ensure that personnel clearly understand the functions they are to perform and, where necessary, provide training for these functions;
) ensure that appropriate and technically valid Standard Operating Procedures are established and followed, and approve all original and
revised Standard Operating Procedures;
f) ensure that there is a Quality Assurance Programme with designated personnel and assure that the quality assurance responsibility
is being performed in accordance with these 91 Principles of Good Laboratory Practice;
g) ensure that for each study an individual with the appropriate qualifications, training, and experience is designated by the
management as the Study Director before the study is initiated. Replacement of a Study Director should be done according to
established procedures, and should be documented.
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h) ensure, in the event of a multi-site study, that, if needed, a Principal Investigator is designated, who is appropriately trained, qualified
and experienced to supervise the delegated phase(s) of the study. Replacement of a Principal Investigator should be done according to
established procedures, and should be documented.
) ensure documented approval of the study plan by the Study Director;
) ensure that the Study Director has made the approved study plan available to the Quality Assurance personnel;
k) ensure the maintenance of an historical file of all Standard Operating Procedures;
) ensure that an individual is identified as responsible for the management of the archive(s);
m) ensure the maintenance of a master schedule;
n) ensure that test facility supplies meet requirements appropriate to their use in a study;
o) ensure for a multi-site study that clear lines of communication exist between the Study Director, Principal Investigator(s), the Quality
Assurance Programme(s) and study personnel;
p) ensure that test and reference items are appropriately characterised;
q) establish procedures to ensure that computerised systems are suitable for their intended purpose, and are validated, operated and
maintained in accordance with these Principles of Good Laboratory Practice.
3. When a phase(s) of a study is conducted at a test site, test site management (if appointed) will have the responsibilities as
defined above with the following exceptions: 1.1.2 g), i), j) and o).
1. The Study Director is the single point of study control and has the responsibility for the overall conduct of the study and for its
final report.
92
These responsibilities should include, but not be limited to, the following functions. The Study Director should:
) approve the study plan and any amendments to the study plan by dated signature;
b) ensure that the Quality Assurance personnel have a copy of the study plan and any amendments in a timely manner and communicate
effectively with the Quality Assurance personnel as required during the conduct of the study;
) ensure that study plans and amendments and Standard Operating Procedures are available to study personnel;
d) ensure that the study plan and the final report for a multi-site study identify and define the role of any Principal Investigator(s) and any
test facilities and test sites involved in the conduct of the study;
) ensure that the procedures specified in the study plan are followed, and assess and document the impact of any deviations from the
study plan on the quality and integrity of the study, and take appropriate corrective action if necessary; acknowledge deviations from
Standard Operating Procedures during the conduct of the study;
) ensure that all raw data generated are fully documented and recorded;
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g) ensure that computerised systems used in the study have been validated;
h) sign and date the final report to indicate acceptance of responsibility for the validity of the data and to indicate the extent to which the
study complies with these Principles of Good Laboratory Practice;
) ensure that after completion (including termination) of the study, the study plan, the final report, raw data and supporting material are
archived.
The Principal Investigator will ensure that the delegated phases of the study are conducted in accordance with the applicable
Principles of Good Laboratory Practice.
1.4 Study Personnels Responsibilities
All personnel involved in the conduct of the study must be knowledgeable in those parts of the Principles of Good Laboratory Practice
which are applicable to their involvement in the study.
Study personnel will have access to the study plan and appropriate Standard Operating Procedures applicable to their involvement in
the study. It is their responsibility to comply with the instructions given in these documents. Any deviation from these instructions
should be documented and communicated directly to the Study Director, and/or if appropriate, the Principal Investigator(s).
3. All study personnel are responsible for recording raw 93 data promptly and accurately and in compliance with these
Principles of Good Laboratory Practice, and are responsible for the quality of their data.
4. Study personnel should exercise health precautions to minimise risk to themselves and to ensure the integrity of the study. They
should communicate to the appropriate person any relevant known health or medical condition in order that they can be excluded
from operations that may affect the study.
2.1 General
The test facility should have a documented Quality Assurance Programme to assure that studies performed are in compliance with
these Principles of Good Laboratory Practice.
The Quality Assurance Programme should be carried out by an individual or by individuals designated by and directly responsible to
management and who are familiar with the test procedures.
This individual(s) should not be involved in the conduct of the study being assured.
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1. The responsibilities of the Quality Assurance personnel include, but are not limited to, the following functions. They
should:
a) maintain copies of all approved study plans and Standard Operating Procedures in use in the test facility and have
access to an up-to-date copy of the master schedule;
b) verify that the study plan contains the information required for compliance with these Principles of Good Laboratory
Practice. This verification should be documented;
) conduct inspections to determine if all studies are conducted in accordance with these Principles of Good Laboratory Practice.
Inspections should also determine that study plans and Standard Operating Procedures have been made available to study personnel
and are being followed.
Inspections can be of three types as specified by Quality Assurance Programme Standard Operating
Procedures:
- Study-based inspections,
- Facility-based inspections,
- Process-based inspections.
Records of such inspections should be retained.
d) inspect the final reports to confirm that the methods, procedures, and observations are accurately and completely described, and that
94 the reported results accurately and completely reflect the raw data of the studies;
) promptly report any inspection results in writing to management and to the Study Director, and to the Principal Investigator(s) and the
respective management, when applicable;
) prepare and sign a statement, to be included with the final report, which specifies types of inspections and their dates, including the
phase(s) of the study inspected, and the dates inspection results were reported to management and the Study Director and Principal
Investigator(s), if applicable. This statement would also serve to confirm that the final report reflects the raw data.
3. Facilities
3.1 General
The test facility should be of suitable size, construction and location to meet the requirements of the study and to minimise disturbance
that would interfere with the validity of the study.
The design of the test facility should provide an adequate degree of separation of the different activities to assure the proper conduct of
each study.
The test facility should have a sufficient number of rooms or areas to assure the isolation of test systems and the isolation of individual
projects, involving substances or organisms known to be or suspected of being biohazardous.
Suitable rooms or areas should be available for the diagnosis, treatment and control of diseases, in order to ensure that there is no
unacceptable degree of deterioration of test systems.
There should be storage rooms or areas as needed for supplies and equipment. Storage rooms or areas should be separated from rooms
or areas housing the test systems and should provide adequate protection against infestation, contamination, and/or deterioration.
1. To prevent contamination or mix-ups, there should be separate rooms or areas for receipt and storage of the test and
reference items, and mixing of the test items with a 95 vehicle.
2. Storage rooms or areas for the test items should be separate from rooms or areas containing the test systems. They should be
adequate to preserve identity, concentration, purity, and stability, and ensure safe storage for hazardous substances.
Archive facilities should be provided for the secure storage and retrieval of study plans, raw data, final reports, samples of test
items and specimens. Archive design and archive conditions should protect contents from untimely deterioration.
Handling and disposal of wastes should be carried out in such a way as not to jeopardise the integrity of studies. This includes
provision for appropriate collection, storage and disposal facilities, and decontamination and transportation procedures.
Apparatus, including validated computerised systems, used for the generation, storage and retrieval of data, and for controlling
environmental factors relevant to the study should be suitably located and of appropriate design and adequate capacity.
Apparatus used in a study should be periodically inspected, cleaned, maintained, and calibrated according to Standard Operating
Procedures. Records of these activities should be maintained. Calibration should, where appropriate, be traceable to national or
international standards of measurement.
Apparatus and materials used in a study should not interfere adversely with the test systems.
Chemicals, reagents, and solutions should be labelled to indicate identity (with concentration if appropriate), expiry date and specific
storage instructions. Information concerning source, preparation date and stability should be available. The expiry date may be
extended on the basis of documented evaluation or analysis.
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5. Test Systems
5.1 Physical/Chemical
96
Apparatus used for the generation of physical/chemical data should be suitably located and of appropriate design and adequate
capacity.
5.2 Biological
Proper conditions should be established and maintained for the storage, housing, handling and care of biological test systems, in order
to ensure the quality of the data.
Newly received animal and plant test systems should be isolated until their health status has been evaluated. If any unusual mortality or
morbidity occurs, this lot should not be used in studies and, when appropriate, should be humanely destroyed. At the experimental
starting date of a study, test systems should be free of any disease or condition that might interfere with the purpose or conduct of the
study. Test systems that become diseased or injured during the course of a study should be isolated and treated, if necessary to maintain
the integrity of the study. Any diagnosis and treatment of any disease before or during a study should be recorded.
Records of source, date of arrival, and arrival condition of test systems should be maintained.
Biological test systems should be acclimatised to the test environment for an adequate period before the first administration/application
of the test or reference item.
All information needed to properly identify the test systems should appear on their housing or containers. Individual test systems that
are to be removed from their housing or containers during the conduct of the study should bear appropriate identification, wherever
possible.
During use, housing or containers for test systems should be cleaned and sanitised at appropriate intervals. Any material that comes
into contact with the test system should be free of contaminants at levels that would interfere with the study. Bedding for animals
should be changed as required by sound husbandry practice. Use of pest control agents should be documented.
Test systems used in field studies should be located so as to avoid interference in the study from spray drift and from past usage of
pesticides.
1. Records including test item and reference item characterisation, date of receipt, expiry date, quantities received
and used in studies should be maintained. 97
2. Handling, sampling, and storage procedures should be identified in order that the homogeneity and stability are assured to the
degree possible and contamination or mixup are precluded.
Storage container(s) should carry identification information, expiry date, and specific storage instructions.
6.2 Characterisation
Each test and reference item should be appropriately identified (e.g., code, Chemical Abstracts Service Registry Number [CAS
number], name, biological parameters).
For each study, the identity, including batch number, purity, composition, concentrations, or other characteristics to appropriately
define each batch of the test or reference items should be known.
In cases where the test item is supplied by the sponsor, there should be a mechanism, developed in co-operation between the sponsor
and the test facility, to verify the identity of the test item subject to the study.
The stability of test and reference items under storage and test conditions should be known for all studies.
If the test item is administered or applied in a vehicle, the homogeneity, concentration and stability of the test item in that vehicle
should be determined. For test items used in field studies (e.g., tank mixes), these may be determined through separate laboratory
experiments.
A sample for analytical purposes from each batch of test item should be retained for all studies except short-term studies.
Standard Operating Procedures
A test facility should have written Standard Operating Procedures approved by test facility management that are intended to ensure the
quality and integrity of the data generated by that test facility. Revisions to Standard Operating Procedures should be approved by test
facility management.
Each separate test facility unit or area should have immediately available current Standard Operating Procedures relevant to the
activities being performed therein. Published text books, analytical methods, articles and manuals may be used as supplements to these
Standard Operating Procedures.
Deviations from Standard Operating Procedures related to the study should be documented and should be acknowledged by the Study
Director and the Principal Investigator(s), as applicable.
98
Standard Operating Procedures should be available for, but not be limited to, the following categories of test facility activities. The
details given under each heading are to be considered as illustrative examples.
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a) Apparatus
Use, maintenance, cleaning and calibration. b) Computerised
Systems
Validation, operation, maintenance, security, change control and back-up. c) Materials,
Reagents and Solutions Preparation and labelling.
Coding of studies, data collection, preparation of reports, indexing systems, handling of data, including the use of
computerised systems.
) Room preparation and environmental room conditions for the test system.
b) Procedures for receipt, transfer, proper placement, characterisation, identification an care of the test system.
) Test system preparation, observations and examinations, before, during and at the conclusion of the study.
d) Handling of test system individuals found moribund or dead during the study.
) Collection, identification and handling of specimens including necropsy and histopathology.
) Siting and placement of test systems in test plots.
Operation of Quality Assurance personnel in planning, scheduling, performing, documenting and reporting inspections.
99
For each study, a written plan should exist prior to the initiation of the study. The study plan should be approved by dated signature of
the Study Director and verified for GLP compliance by Quality Assurance personnel as specified in Section 2.2.1.b., above. The study
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plan should also be approved by the test facility management and the sponsor, if required by national regulation or legislation in the
country where the study is being performed.
a) Amendments to the study plan should be justified and approved by dated signature of the Study Director and maintained with the
study plan.
b) Deviations from the study plan should be described, explained, acknowledged and dated in a timely fashion by
the Study Director and/or Principal Investigator(s) and maintained with the study raw data.
For short-term studies, a general study plan accompanied by a study specific supplement may be used.
8.2 Content of the Study Plan The study plan should contain, but not be limited to the following information:
) A descriptive title;
b) A statement which reveals the nature and purpose of the study;
) Identification of the test item by code or name (IUPAC; CAS number, biological parameters, etc.);
d) The reference item to be used.
Information Concerning the Sponsor and the Test Facility a) Name and address of the
sponsor; b) Name and address of any test facilities and test sites involved; c) Name and
address of the Study Director; d) Name and address of the Principal Investigator(s), and
the phase(s) of the study delegated by the Study Director and under the responsibility of
the Principal Investigator(s).
Dates
a) The date of approval of the study plan by signature of the Study Director. The date of
approval of the study plan by signature of the test facility management and sponsor if
required by national regulation or legislation in the country where the study is being
performed.
b) The proposed experimental starting and completion dates.
Test Methods
Reference to the OECD Test Guideline or other test guideline or method to be used.
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Records
A list of records to be retained.
8.3 Conduct of the Study
A unique identification should be given to each study. All items concerning this study should carry this identification. Specimens from
the study should be identified to confirm their origin. Such identification should enable traceability, as appropriate for the specimen
and study.
All data generated during the conduct of the study should be recorded directly, promptly, accurately, and legibly by the individual
entering the data. These entries should be signed or initialled and dated.
4. Any change in the raw data should be made so as not to 101 obscure the previous entry, should indicate the reason for change
and should be dated and signed or initialled by the individual making the change.
5. Data generated as a direct computer input should be identified at the time of data input by the individual(s) responsible for direct
data entries. Computerised system design should always provide for the retention of full audit trails to show all changes to the
data without obscuring the original data. It should be possible to associate all changes to data with the persons having made those
changes, for example, by use of timed and dated (electronic) signatures. Reason for changes should be given.
9.1 General
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A final report should be prepared for each study. In the case of short term studies, a standardised final report accompanied by a study
specific extension may be prepared.
Reports of Principal Investigators or scientists involved in the study should be signed and dated by them.
The final report should be signed and dated by the Study Director to indicate acceptance of responsibility for the validity of the data.
The extent of compliance with these Principles of Good Laboratory Practice should be indicated.
Corrections and additions to a final report should be in the form of amendments. Amendments should clearly specify the reason for the
corrections or additions and should be signed and dated by the Study Director.
Reformatting of the final report to comply with the submission requirements of a national registration or regulatory authority does not
constitute a correction, addition or amendment to the final report.
The final report should include, but not be limited to, the following information:
a) A descriptive title;
b) Identification of the test item by code or name (IUPAC, CAS number, biological
parameters, etc.);
c) Identification of the reference item by name;
d) Characterisation of the test item including purity, stability and homogeneity.
2.
Information Concerning the Sponsor and the Test Facility
3. Dates
Experimental starting and completion dates.
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4. Statement
A Quality Assurance Programme statement listing the types of inspections made and their
dates, including the phase(s) inspected, and the dates any inspection results were reported to management and to the Study
Director and Principal Investigator(s), if applicable. This statement would also serve to confirm that the final report reflects
the raw data.
5. Description of Materials and Test Methods
6. Results
) A summary of results;
b) All information and data required by the study plan;
c) A presentation of the results, including calculations and determinations of statistical significance; d) An evaluation and discussion
of the results and, where appropriate, conclusions. 103
7. Storage
The location(s) where the study plan, samples of test and reference items, specimens, raw data and the final report are
to be stored.
1 The following should be retained in the archives for the period specified by the appropriate authorities:
) The study plan, raw data, samples of test and reference items, specimens, and the final report of each study;
b) Records of all inspections performed by the Quality Assurance Programme, as well as master schedules;
In the absence of a required retention period, the final disposition of any study materials should be documented. When
samples of test and reference items and specimens are disposed of before the expiry of the required retention
period for any reason, this should be justified and documented. Samples of test and reference items and
specimens should be retained only as long as the quality of the preparation permits evaluation.
2 Material retained in the archives should be indexed so as to facilitate orderly storage and retrieval.
3 Only personnel authorised by management should have access to the archives. Movement of material in and out of the archives should
be properly recorded.
4 If a test facility or an archive contracting facility goes out of business and has no legal successor, the archive should be transferred to
the archives of the sponsor(s) of the study(s).
104
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PART TWO:
DECISION OF THE COUNCIL: concerning the Mutual Acceptance of Data in the Assessment of
Chemicals [C(81)30(Final)]
(Adopted by the Council at its 535th Meeting on 12th May, 1981)
Having regard to Articles 2(a), 2(d), 3, 5(a) and 5(b) of the Convention on the Organisation for Economic Co-operation and
Development of 14th December, 1960;
Having regard to the Recommendation of the Council of 26th May, 1972, on Guiding Principles concerning International
Economic Aspects of Environmental Policies [C(72)128];
Having regard to the Recommendation of the Council of 14th November, 1974, on the Assessment of the Potential Environmental
Effects of Chemicals [C(74)215];
Having regard to the Recommendation of the Council of 26th August, 1976, concerning Safety Controls over Cosmetics and
Household Products [C(76)144(Final)];
Having regard to the Recommendation of the Council of 7th July, 1977, establishing Guidelines in respect of Procedure and
Requirements for Anticipating the Effects of Chemicals on Man and in the Environment [C(77)97(Final)];
Having regard to the Decision of the Council of 21st September, 1978, concerning a Special Programme on the Control of
Chemicals and the Programme of Work established therein [C(78)127(Final)];
Having regard to the Conclusions of the First High Level Meeting of the Chemicals Group of 19th
May, 1980, dealing with the control of health and environmental effects of chemicals [ ENV/CHEM/ HLM/80.M/1];
Considering the need for concerted action amongst OECD Member countries to protect man and his environment from exposure
to hazardous chemicals;
Considering the importance of international production and trade in chemicals and the mutual economic and trade advantages
which accrue to OECD Member countries from harmonization of policies for chemicals control;
Considering the need to minimise the cost burden associated with testing chemicals and the need to utilise more effectively scarce
test facilities and specialist manpower in Member countries;
Considering the need to encourage the generation of valid and high quality test data and noting the significant actions taken in this
regard by OECD Member countries through provisional application of
OECD Test Guidelines and OECD Principles of Good Laboratory Practice;
GLP HANDBOOK annex i OECD principles of GLP
Considering the need for and benefits of mutual acceptance in OECD countries of test data used in the assessment of chemicals
and other uses relating to protection of man and the environment;
On the proposal of the High Level Meeting of the Chemicals Group, endorsed by the Environment Committee;
PART I
. DECIDES that data generated in the testing of chemicals in an OECD Member country in accordance with OECD Test Guidelines and
OECD Principles of Good Laboratory Practice shall be accepted in other Member countries for purposes of assessment and other uses
relating to the protection of man and the environment.
. DECIDES that for the purposes of this decision and other Council actions the terms OECD Test Guidelines and OECD Principles of
Good Laboratory Practice shall mean guidelines and principles adopted by the Council.
. INSTRUCTS the Environment Committee to review action taken by Member countries in pursuance of this Decision and to report
periodically thereon to the Council.
106
. INSTRUCTS the Environment Committee to pursue a programme of work designed to facilitate implementation of this Decision with
a view to establishing further agreement on assessment and control of chemicals within Member countries.
PART II
. RECOMMENDS that Member countries, in the testing of chemicals, apply the OECD Test Guidelines and the OECD Principles of
Good Laboratory Practice, set forth respectively in Annexes I and II* which are integral parts of this text.
. INSTRUCTS the Management Committee of the Special Programme on the Control of Chemicals in conjunction with the Chemicals
Group of the Environment Committee to establish an updating mechanism to ensure that the aforementioned test guidelines are
modified from time to time as required through the revision of existing Guidelines or the development of new Guidelines.
. INSTRUCTS the Management Committee of the Special Programme on the Control of Chemicals to pursue its programme of work in
such a manner as to facilitate internationally-harmonized approaches to assuring compliance with the OECD Principles of Good
Laboratory Practice and to report periodically thereon to the Council.
* Annex I to the Council Decision (the OECD Test Guidelines) was published separately. Annex II (the OECD Principles of Good Laboratory Practice) can
be found in Part One of this publication.
COUNCIL DECISION-RECOMMENDATION ON
Compliance with Principles of Good Laboratory Practice
[C(89)87(Final)]
annex i OECD principles of GLP GLP HANDBOOK
The Council,
Having regard to Articles 5 a) and 5 b) of the Convention on the Organisation for Economic Cooperation and Development of
14th December, 1960;
Having regard to the Recommendation of the Council of 107 7th July, 1977 Establishing Guidelines in Respect of Procedure
and Requirements for Anticipating the Effects of Chemicals on Man and in the Environment [C(77)97(Final)];
Having regard to the Decision of the Council of 12th May, 1981 concerning the Mutual Acceptance of Data in the Assessment of
Chemicals [C(81)30(Final)] and, in particular, the Recommendation that Member countries, in the testing of chemicals, apply the
OECD Principles of Good Laboratory Practice, set forth in Annex 2 of that Decision;
Having regard to the Recommendation of the Council of 26th July, 1983 concerning the Mutual Recognition of Compliance with
Good Laboratory [C(83)95(Final)];
Having regard to the conclusions of the Third High Level Meeting of the Chemicals Group (OECD,
Paris, 1988);
Considering the need to ensure that test data on chemicals provided to regulatory authorities for purposes of assessment and other
uses related to the protection of human health and the environment are of high quality, valid and reliable;
Considering the need to minimise duplicative testing of chemicals, and thereby to utilise more effectively scarce test facilities and
specialist manpower, and to reduce the number of animals used in testing;
Considering that recognition of procedures for monitoring compliance with good laboratory practice will facilitate mutual
acceptance of data and thereby reduce duplicative testing of chemicals;
Considering that a basis for recognition of compliance monitoring procedures is an understanding of, and confidence in, the
procedures in the Member country where the data are generated;
Considering that harmonized approaches to procedures for monitoring compliance with good laboratory practice would greatly
facilitate the development of the necessary confidence in other countries procedures;
On the proposal of the Joint Meeting of the Management Committee of the Special Programme on the Control of Chemicals and
the Chemicals Group, endorsed by the Environment Committee;
PART I
establish national procedures for monitoring compliance with GLP Principles, based on laboratory inspections and study audits;
ii) designate an authority or authorities to discharge the functions required by the procedures for monitoring compliance; and
108
iii) require that the management of test facilities issue a declaration, where applicable, that a study was carried out in accordance
with GLP Principles and pursuant to any other provisions established by national legislation or administrative procedures dealing
with good laboratory practice.
. RECOMMENDS that, in developing and implementing national procedures for monitoring compliance with GLP Principles, Member
countries apply the Guides for Compliance Monitoring Procedures for Good Laboratory Practice and the Guidance for the Conduct
of Laboratory Inspections and Study Audits, set out respectively in Annexes I and II which are an integral part of this Decision-
Recommendation.
PART II
. DECIDES that, for purposes of the recognition of the assurance in paragraph 1 above, Member countries shall:
designate an authority or authorities for international liaison and for discharging other functions relevant to the recognition as set out in
this Part and in the Annexes to this Decision-Recommendation;
Annexes I and II of the Council Act as revised in 1995 can be found in Numbers 2 and 3, respectively, of this OECD series on
Principles of GLP and Compliance Monitoring (Environment Monographs No. 110 and No. 111).
exchange with other Member countries relevant information concerning their procedures for monitoring compliance, in accordance
with the guidance set out in Annex III* which is an integral part of this Decision-Recommendation, and
implement procedures whereby, where good reason exists, information concerning GLP compliance of a test facility (including
information focusing on a particular study) within their jurisdiction can be sought by another Member country.
. DECIDES that the Council Recommendation concerning the Mutual Recognition of Compliance with Good Laboratory Practice
[C(83)95(Final)] shall be repealed.
annex i OECD principles of GLP GLP HANDBOOK
PART III
109
Future OECD Activities
. INSTRUCTS the Environment Committee and the Management Committee of the Special Programme on the Control of Chemicals to
ensure that the Guides for Compliance Monitoring Procedures for Good Laboratory Practice and the Guidance for the Conduct of
Laboratory Inspections and Study Audits set out in Annexes I and II **are updated and expanded, as necessary, in light of
developments and experience of Member countries and relevant work in other international organisations.
. INSTRUCTS the Environment Committee and the Management Committee of the Special Programme on the Control of Chemicals to
pursue a programme of work designed to facilitate the implementation of this Decision-Recommendation, and to ensure continuing
exchange of information and experience on technical and administrative matters related to the application of GLP Principles and the
implementation of procedures for monitoring compliance with good laboratory practice.
. INSTRUCTS the Environment Committee and the Management Committee of the Special Programme on the Control of Chemicals to
review actions taken by Member countries in pursuance of this DecisionRecommendation.
* Annex III of the Council Act as revised in 1995 will be found in Number 2 of this OECD series on Principles of GLP and Compliance Monitoring
(Environment Monograph No. 110).
The Council,
Having regard to Articles 5(a) and 5(c) of the Convention on the Organisation for Economic Cooperation and Development of
110 14th December, 1960;
GLP HANDBOOK annex i OECD principles of GLP
Having regard to the Decision of the Council of 12th May, 1981, concerning the Mutual Acceptance of Data in the Assessment of
Chemicals [C(81)30(Final)];
Having regard to the Decision of the Council of 26th July, 1983, concerning the Protection of Proprietary Rights to Data
submitted in Notification of New Chemicals [C(83)96(Final)] and the Recommendations of the same date concerning the Exchange of
Confidential Data on Chemicals [C(83)97(Final)] and the OECD List of Non-Confidential Data on Chemicals [C(83)98(Final)];
Having regard to the Decision Recommendation of the Council of 2nd October, 1989 on Compliance with Principles of Good
Laboratory Practice [C(89)87(Final)] as amended];
Considering that effective implementation of the OECD Council Acts [C(81)30(Final)] and
[C(89)87(Final)] is essential in view of the extension of these acts to adherence by non-member countries;
Recognising that the conclusion of agreements among Members and with non-member countries constitutes a means for effective
implementation of these Council Acts;
Recognising that adherence to the OECD Council Acts does not preclude use or acceptance of test data obtained in accordance
with other scientifically valid and specified test methods, as developed for specific chemical product areas;
Considering that on 14th June, 1992 the United Nations Conference on Environment and Development in Chapter 19, section E of
Agenda 21, recommended that governments and international organisations should co-operate, particularly with developing countries,
to develop appropriate tools for management of chemicals;
Considering the commitments made by Ministers at the meeting of the Council at Ministerial level of 23rd and 24th May, 1995 to
support the integration of developing countries and economies in transition into the world economic system, and to pursue further
progress toward a better environment;
Considering that Member countries and non-member countries would derive both economic and environmental benefits from
enlarged participation in the OECD Council Acts related to mutual acceptance of data in the assessment of chemicals;
Considering that non-member countries are increasingly demonstrating an interest in participating in the OECD Council Acts
related to mutual acceptance of data in the assessment of chemicals;
Considering that the chemical industries in all nations have an interest in harmonized testing requirements and will benefit from
the elimination of costly, duplicative testing and the avoidance of nontariff barriers to trade;
Considering that expanded international co-operation to reduce duplicative testing would, in the process, diminish the use of
animals for safety testing;
Considering, therefore, that it is appropriate and timely to pursue broadened international participation in the OECD programme
on mutual acceptance of data in the assessment of chemicals, specifically by opening up the relevant OECD Council Acts to adherence
by non-member countries and that a clear administrative procedure is required to facilitate this process;
On the proposal of the Joint Meeting of the Chemicals Group and Management Committee of the Special Programme on the
Control of Chemicals, endorsed by the Environment Policy Committee;
. DECIDES to open the OECD Council Acts related to the 111 mutual acceptance of data in the assessment of chemicals *to
adherence by non-member countries which express their willingness and demonstrate their ability to participate therein.
. DECIDES that non-member countries adhering to the Council Acts shall be entitled to join the part of the OECD Chemicals
Programme involving the mutual acceptance of data, with the same rights and obligations as Member countries.
annex i OECD principles of GLP GLP HANDBOOK
. DECIDES that adherence to the Council Acts and participation in the part of the OECD Chemicals Programme related to the mutual
acceptance of data shall be governed by the procedure set out in the Appendix to this Decision, of which it forms an integral part.
. RECOMMENDS that Member countries, with a view to facilitating the extension of the Council Acts to non-member countries, take
or pursue all available means to ensure the most effective implementation of the Council Acts. Pending this effective implementation
of the Council Acts by non-members, Member countries shall be free to establish mutual acceptance of data with non-member
countries on a bilateral basis.
. INSTRUCTS the Management Committee of the Special Programme on the Control of Chemicals to assume responsibility for
promoting international awareness of the Council Acts, with a view to informing, advising and otherwise encouraging non-member
countries to participate in the programmes and activities that have been established by OECD countries pursuant to these Council Acts.
Further, the Management Committee should monitor closely the technical aspects of implementation of the procedure set out in the
Appendix, review the implementation of this Decision, and report thereon to Council within three years.
* These Council Acts are: the 1981 Council Decision concerning the Mutual Acceptance of Data in the Assessment of Chemicals [C(81)30(Final)] as
amended, together with the OECD Guidelines for the Testing of Chemicals and the OECD Principles of Good Laboratory Practice, and the 1989
Council Decision-Recommendation on Compliance with Principles of Good Laboratory Practice [C(89)87(Final)] as amended and are hereafter referred
to as the Council Acts.
ANNEX
) The OECD Secretariat should ensure that an interested non-member country is provided with full information on the rights and
obligations associated with adhering to the OECD Council Acts related to mutual acceptance of data in the assessment of chemicals.
) 112 At the invitation of the Council, the interested non-member country would confirm, at an appropriate level, that it would agree to
provisionally adhere to the Council Acts and to accept, for purposes of assessment and other uses relating to the protection of man and
the environment, data generated in the testing of chemicals with OECD Test Guidelines and OECD Principles of Good Laboratory
Practice.
i) Following such invitation, confirmation and provisional adherence, the Joint Meeting of the Chemicals Group and Management
Committee of the Special Programme on the Control of Chemicals (Joint Meeting) would organise, in consultation with the non-
member country, technical support that might assist in the implementation of the Council Acts.
GLP HANDBOOK annex i OECD principles of GLP
v) The non-member country would be invited by the Joint Meeting to nominate a Test Guideline Coordinator and to take part in the
activities and meetings related to the development and updating of OECD Test Guidelines and to take part in technical meetings
related to GLP and, if recommended by the OECD Panel on GLP, to attend as an observer meetings of the Panel. Such an invitation
would be for a maximum of three years and could be renewed by the Joint Meeting.
) Once the non-member country has fully implemented the Council Acts, and taking account of the recommendation of the Joint
Meeting in this respect, the non-member country may be invited by the Council to adhere to the Council Acts and to join the part of the
OECD Chemicals Programme involving the mutual acceptance of data as a full member; this would require the non-member country
to contribute to the resource costs of implementing this part of the Chemicals Programme.
i) Participation may be terminated by either party upon one year advance notice. The Council may set any further terms and conditions to
the invitation.
Guidance for GLP Monitoring Authorities: Revised Guides for Compliance Monitoring Procedures for GLP
Applications for permission to reproduce or translate all or part of this material should be made to: Head of Publications Service,
OECD, 2 rue Andr-Pascal, 75775 Paris Cedex 16, France
FOREWORD
113
annex i OECD principles of GLP GLP HANDBOOK
The 1981 Council Decision on Mutual Acceptance of Data [C(81)30(Final)], of which the OECD Principles of Good Laboratory
Practice3 are an integral part, includes an instruction for OECD to undertake activities to facilitate internationally-harmonized
approaches to assuring compliance with the GLP Principles. Consequently, in order to promote the implementation of comparable
compliance monitoring procedures, and international acceptance, among Member countries the Council adopted in 1983 the
Recommendation concerning the Mutual Recognition of Compliance with Good Laboratory Practice [ C(83)95(Final)], which set out
basic characteristics of the procedures for monitoring compliance.
A Working Group on Mutual Recognition of Compliance 115 with GLP was established in 1985, under the chairmanship of
Professor V. Silano (Italy), to facilitate the practical implementation of the Council acts on GLP, develop common
approaches to the technical and administrative problems related to GLP compliance and its monitoring, and develop arrangements for
the mutual recognition of compliance monitoring procedures. The following countries and organisations participated in the Working
Group: Australia, Belgium, Canada, Denmark, the Federal Republic of Germany, Finland, France, Italy, Japan, Norway, the
Netherlands, Portugal, Spain, Sweden, Switzerland, the United Kingdom, the United States, the Commission of the European
Communities, the International Organization for Standardization, the Pharmaceuticals Inspections Convention, and the World Health
Organization.
The Working Group developed, inter alia, Guides for Compliance Monitoring Procedures for Good Laboratory Practice, which
concern the requisites of administration, personnel and GLP compliance monitoring programmes. These were first published in 1988 in
the Final Report of the Working Group. 4 A slightly abridged version was annexed to the 1989 Council Decision-Recommendation on
Compliance with Principles of Good Laboratory Practice [C(89)87(Final)], which superseded and replaced the 1983 Council Act.
In adopting that Decision-Recommendation, the Council in Part III.1 instructed the Environment Committee and the Management
Committee of the Special Programme on the Control of Chemicals to ensure that the Guides for Compliance Monitoring Procedures
for Good Laboratory Practice and the Guidance for the Conduct of Laboratory Inspections and Study Audits set out in Annexes I
and II thereto were updated and expanded, as necessary, in light of developments and experience of Member countries and relevant
work in other international organisations.
OCDE/GD(95)66
GENERAL DISTRIBUTION
4 Final Report of the Working Group on Mutual Recognition of Compliance with Good Laboratory Practice, OECD Environment
Monograph No. 15, March 1988.
OCDE/GD(95)66
OECD SERIES ON PRINCIPLES OF GOOD LABORATORY PRACTICE
AND
GLP HANDBOOK COMPLIANCE
annex ii MONITORING
Revisedguides for compliance monitoring
Number 2 (Revised) procedures for GLP
Part I of this Publication consists of the Revised Guides for Compliance Monitoring Procedures for
Good Laboratory Practice, as annexed to the 1989 Council Act [C(89)87(Final)] and revised by Council in
1995 [C(95)8(Final)]. The text of that Council Act will be found in Part Two, together with revised Annex
III.
This document cancels and replaces the
116 Environment Monograph no. 46 entitled
Guides for Compliance Monitoring Procedures
for Good Laboratory Practice,
published in 1992.
XXXXX
TablE OF COnTEnTs
PART ONE:
Revised Guides for Compliance Monitoring Procedures for Good Laboratory Practice . . . . . . . . . . . . 118
PART TWO:
117
ANNEX III:
PART ONE:
5 The Revised Guides for Compliance Monitoring Procedures for Good Laboratory Practice are
contained in the revision of Annex I to the Council Decision-Recommendation on Compliance with
Principles of Good Laboratory Practice [C(89)87(Final)] and [C(95)8(Final)]. For the text of
C(89)87(Final), see page 15 of this publication.
GLP HANDBOOK annex ii Revisedguides for compliance monitoring
procedures for GLP
To facilitate the mutual acceptance of test data generated for submission to Regulatory Authorities of
OECD Member countries, harmonization of the procedures adopted to monitor good laboratory practice
118 compliance, as well as comparability of their quality and rigour, are essential. The aim of this document is
to provide detailed practical guidance to OECD Member countries on the structure, mechanisms and
procedures they should adopt when establishing national Good Laboratory Practice compliance
monitoring programmes so that these programmes may be internationally acceptable.
It is recognised that Member countries will adopt GLP Principles and establish compliance
monitoring procedures according to national legal and administrative practices, and according to priorities
they give to, e.g., the scope of initial and subsequent coverage concerning categories of chemicals and
types of testing. Since Member countries may establish more than one Good Laboratory Practice
Monitoring Authority due to their legal framework for chemicals control, more than one Good Laboratory
Practice Compliance Programme may be established. The guidance set forth in the following paragraphs
concerns each of these Authorities and Compliance Programmes, as appropriate.
DEFINITIONS OF TERMS
The definitions of terms in the OECD Principles of Good Laboratory Practice [Annex 2 to Council
Decision C(81)30(Final)] are applicable to this document. In addition, the following definitions apply:
GLP Principles: Principles of good laboratory practice that are consistent with the OECD Principles
of Good Laboratory Practice as set out in Annex 2 of Council Decision C(81)30(Final) 6.
GLP Compliance Monitoring: The periodic inspection of test facilities and/or auditing of studies for
the purpose of verifying adherence to GLP Principles.
(National) GLP Compliance Programme: The particular scheme established by a Member country to
monitor good laboratory practice compliance by test facilities within its territories, by means of
inspections and study audits.
(National) GLP Monitoring Authority: A body established within a Member country with
responsibility for monitoring the good laboratory practice compliance of test facilities within its territories
and for discharging other such functions related to good laboratory practice as may be nationally
determined. It is understood that more than one such body may be established in a Member country.
Test Facility Inspection: An on-site examination of the test facilitys procedures and practices to
assess the degree of compliance with GLP Principles. During inspections, the management structures and
operational procedures of the test facility are examined, key technical personnel are interviewed, and the
quality and integrity of data generated by the facility are assessed and reported.
6 See The OECD Principles of Good Laboratory Practice, No.1 in this OECD series on Principles of GLP
and Compliance Monitoring.
annex ii Revisedguides for compliance monitoring procedures for
GLP GLP HANDBOOK
Study Audit: A comparison of raw data and associated 119 records with the interim or final
report in order to determine whether the raw data have been accurately reported, to determine whether
testing was carried out in accordance with the study plan and Standard Operating Procedures, to obtain
additional information not provided in the report, and to establish whether practices were employed in the
development of data that would impair their validity.
Inspector: A person who performs the test facility inspections and study audits on behalf of the
(National) GLP Monitoring Authority.
GLP Compliance Status: The level of adherence of a test facility to the GLP Principles as assessed by
the (National) GLP Monitoring Authority.
Regulatory Authority: A national body with legal responsibility for aspects of the control of
chemicals.
Administration
ensure that the (National) GLP Monitoring Authority is directly responsible for an adequate team of
inspectors having the necessary technical/scientific expertise or is ultimately responsible for such a
team;
publish documents relating to the adoption of GLP Principles within their territories;
publish documents providing details of the (National) GLP Compliance Programme, including
information on the legal or administrative framework within which the programme operates and
references to published acts, normative documents (e.g., regulations, codes of practice), inspection
manuals, guidance notes, periodicity of inspections and/or criteria for inspection schedules, etc.;
maintain records of test facilities inspected (and their GLP Compliance Status) and of studies audited for
both national and international purposes.
GLP HANDBOOK annex ii Revisedguides for compliance monitoring
procedures for GLP
Confidentiality
(National) GLP Monitoring Authorities will have access to commercially valuable information and,
120
on occasion, may even need to remove commercially sensitive documents from a test facility or refer to
them in detail in their reports.
make provision for the maintenance of confidentiality, not only by Inspectors but also by any other
persons who gain access to confidential information as a result of GLP Compliance Monitoring activities;
ensure that, unless all commercially sensitive and confidential information has been excised, reports of
Test Facility Inspections and Study Audits are made available only to Regulatory Authorities and, where
appropriate, to the test facilities inspected or concerned with Study Audits and/or to study sponsors.
i. the number of test facilities involved in the (National) GLP Compliance Programme;
i. the frequency with which the GLP Compliance Status of the test facilities is to be assessed;
i. the number and complexity of the studies undertaken by those test facilities
i. encourage consultations, including joint training activities where necessary, with the staff of
(National) GLP Monitoring Authorities in other Member countries in order to promote
international harmonization in the interpretation and application of GLP Principles, and in the
monitoring of compliance with such Principles.
ensure that inspectorate personnel, including experts under contract, have no financial or other
interests in the test facilities inspected, the studies audited or the firms sponsoring such studies
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annex ii Revisedguides for compliance monitoring procedures for
GLP GLP HANDBOOK
on the permanent staff of a body separate from the (National) GLP Monitoring Authority; or
employed on contract, or in another way, by the (National) GLP Monitoring Authority to perform Test
Facility Inspections or Study Audits.
In the latter two cases, the (National) GLP Monitoring Authority should have ultimate responsibility
for determining the GLP Compliance Status of test facilities and the quality/acceptability of a Study
Audit, and for taking any action based on the results of Test Facility Inspections or Study Audits which
may be necessary.
GLP Compliance Monitoring is intended to ascertain whether test facilities have implemented GLP
Principles for the conduct of studies and are capable of assuring that the resulting data are of adequate
quality. As indicated above, Member countries should publish the details of their (National) GLP
Compliance Programmes. Such information should, inter alia:
A (National) GLP Compliance Programme may cover only a limited range of chemicals, e.g.,
industrial chemicals, pesticides, pharmaceuticals, etc., or may include all chemicals. The scope of the
monitoring for compliance should be defined, both with respect to the categories of chemicals and to the
types of tests subject to it, e.g., physical, chemical, toxicological and/or ecotoxicological.
provide an indication as to the mechanism whereby test facilities enter the Programme
The application of GLP Principles to health and environmental safety data generated for regulatory
purposes may be mandatory. A mechanism should be available whereby test facilities may have their
compliance with GLP Principles monitored by the appropriate (National) GLP Monitoring Authority.
provide information on categories of Test Facility Inspections/Study Audits
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i. provision for Test Facility Inspections. These inspections include both a general Test Facility Inspection
and a Study Audit of one or more on-going or completed studies;
i. provision for special Test Facility Inspections/Study Audits at the request of a Regulatory Authority
e.g., prompted by a query arising from the submission of data to a Regulatory Authority.
define the powers of Inspectors for entry into test facilities and their access to data held by test facilities
(including specimens, SOPs, other documentation, etc.)
While Inspectors will not normally wish to enter test facilities against the will of the facilitys
management, circumstances may arise where test facility entry and access to data are essential to protect
public health or the environment. The powers available to the (National) GLP Monitoring Authority in
such cases should be defined.
describe the Test Facility Inspection and Study Audit procedures for verification of GLP compliance
The documentation should indicate the procedures which will be used to examine both the
organisational processes and the conditions under which studies are planned, performed, monitored and
recorded. Guidance for such procedures is available in Guidance for the Conduct of Test Facility
Inspections and Study Audits (No. 3 in the OECD series on Principles of GLP and Compliance
Monitoring).
describe actions that may be taken as follow-up to Test Facility Inspections and Study Audits.
When a Test Facility Inspection or Study Audit has been completed, the Inspector should prepare a
written report of the findings.
Member countries should take action where deviations from GLP Principles are found during or after
a Test Facility Inspection or Study Audit. The appropriate actions should be described in documents from
the (National) GLP Monitoring Authority.
If a Test Facility Inspection or Study Audit reveals only minor deviations from GLP Principles, the
facility should be required to correct such minor deviations. The Inspector may need, at an appropriate
time, to return to the facility to verify that corrections have been introduced.
Where no or where only minor deviations have been found, the (National) GLP Monitoring Authority
may:
issue a statement that the test facility has been inspected and found to be operating in compliance with
GLP Principles. The date of the inspections and, if appropriate, the categories of test inspected in the test
facility at that time should be included. Such statements may be used to provide information to (National)
GLP Monitoring Authorities in other Member countries; and/or
provide the Regulatory Authority which requested a Study Audit with a detailed report of the findings.
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Where serious deviations are found, the action taken by (National) GLP Monitoring Authorities will
depend upon the particular circumstances of each case and the legal or administrative provisions under
which GLP Compliance Monitoring has been established within their countries. Actions which may be
taken include, but are not limited to, the following:
issuance of a statement, giving details of the inadequacies or faults found which might affect the validity
of studies conducted in the test facility;
suspension of Test Facility Inspections or Study Audits of a test facility and, for example and where
administratively possible, removal of the test facility from the (National) GLP Compliance Programme or
from any existing list or register of test facilities subject to GLP Test Facility Inspections;
requiring that a statement detailing the deviations be attached to specific study reports;
action through the courts, where warranted by circumstances and where legal/ administrative procedures
so permit.
Appeals Procedures
Problems, or differences of opinion, between Inspectors and test facility management will normally
be resolved during the course of a Test Facility Inspection or Study Audit. However, it may not always be
possible for agreement to be reached. A procedure should exist whereby a test facility may make
representations relating to the outcome of a Test Facility Inspection or Study Audit for GLP Compliance
Monitoring and/or relating to the action the GLP Monitoring Authority proposes to take thereon.
PART TWO:
COUNCIL DECISION-RECOMMENDATION
on Compliance with Principles of Good Laboratory Practice
[ C(89)87(Final )]
The Council,
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GLP HANDBOOK annex ii Revisedguides for compliance monitoring
procedures for GLP
Having regard to Articles 5 a) and 5 b) of the Convention on the Organisation for Economic
Cooperation and Development of 14th December 1960;
Having regard to the Recommendation of the Council of 7th July 1977 Establishing Guidelines in
Respect of Procedure and Requirements for Anticipating the Effects of Chemicals on Man and in the
Environment [C(77)97(Final)];
Having regard to the Decision of the Council of 12th May 1981 concerning the Mutual Acceptance
of Data in the Assessment of Chemicals [C(81)30(Final)] and, in particular, the Recommendation that
Member countries, in the testing of chemicals, apply the OECD Principles of Good Laboratory Practice,
set forth in Annex 2 of that Decision;
Having regard to the Recommendation of the Council of 26th July 1983 concerning the Mutual
Recognition of Compliance with Good Laboratory Practice [C(83)95(Final)];
Having regard to the conclusions of the Third High Level Meeting of the Chemicals Group (OECD,
Paris, 1988);
Considering the need to ensure that test data on chemicals provided to regulatory authorities for
purposes of assessment and other uses related to the protection of human health and the environment are
of high quality, valid and reliable;
Considering the need to minimise duplicative testing of chemicals, and thereby to utilise more
effectively scarce test facilities and specialist manpower, and to reduce the number of animals used in
testing;
Considering that recognition of procedures for monitoring compliance with good laboratory practice
will facilitate mutual acceptance of data and thereby reduce duplicative testing of chemicals;
Considering that a basis for recognition of compliance monitoring procedures is an understanding of,
and confidence in, the procedures in the Member country where the data are generated;
Considering that harmonized approaches to procedures for monitoring compliance with good
laboratory practice would greatly facilitate the development of the necessary confidence in other
countries procedures;
On the proposal of the Joint Meeting of the Management Committee of the Special Programme on
the Control of Chemicals and the Chemicals Group, endorsed by the Environment Committee;
PART I
1. DECIDES that Member countries in which testing of chemicals for purposes of assessment related to the
protection of health and the environment is being carried out pursuant to principles of good laboratory
practice that are consistent with the OECD Principles of Good Laboratory Practice as set out in Annex 2
of the Council Decision C(81)30(Final) (hereafter called GLP Principles) shall:
i. establish national procedures for monitoring compliance with GLP Principles, based on laboratory
inspections and study audits;
annex ii Revisedguides for compliance monitoring procedures for
GLP GLP HANDBOOK
i. require that the management of test facilities issue a declaration, where applicable, that a study was
carried out in accordance with GLP Principles and pursuant to any other provisions established by
national legislation or administrative procedures dealing with good laboratory practice.
2. RECOMMENDS that, in developing and implementing national procedures for monitoring compliance
with GLP Principles, Member countries apply the Guides for Compliance Monitoring Procedures for
Good Laboratory Practice and the Guidance for the Conduct of Laboratory Inspections and Study
Audits, set out respectively in Annexes I and II which are an integral part of this Decision-
Recommendation.7
PART II
1. DECIDES that Member countries shall recognise the assurance by another Member country that test data
have been generated in accordance with GLP Principles if such other Member country complies with Part
I above and Part II paragraph 2 below.
2. DECIDES that, for purposes of the recognition of the assurance in paragraph 1 above, Member countries
shall:
i. designate an authority or authorities for international liaison and for discharging other functions relevant
to the recognition as set out in this Part and in the Annexes to this Decision-Recommendation;
ii. exchange with other Member countries relevant information concerning their procedures for monitoring
compliance, in accordance with the guidance set out in Annex III 8 which is an integral part of this
Decision-Recommendation; and
7 The revision of Annex I of the Council Act [set out in C(95)8)(Final)] is Part One (pages 9-14) of this
publication. Annex II will be found in No. 3 (Revised) in this OECD series on Principles of GLP and
Compliance Monitoring (Environment Monograph No. 111).
8 For the revision of Annex III of the Council Act [Revised Guidance for the Exchange of Information
concerning National Procedures for Monitoring of Compliance with Principles of Good Laboratory
Practice, set out in C(95)8(Final)], see page 21 of this publication. 7 See note 5, page 125.
GLP HANDBOOK annex ii Revisedguides for compliance monitoring
procedures for GLP
i. implement procedures whereby, where good reason exists, information concerning GLP
compliance of a test facility (including information focussing on a particular study) within their
jurisdiction can be sought by another Member country.
3. DECIDES that the Council Recommendation concerning the Mutual Recognition of Compliance with
Good Laboratory Practice [C(83)95(Final)] shall be repealed.
PART III
2. INSTRUCTS the Environment Committee and the Management Committee of the Special Programme on
the Control of Chemicals to pursue a programme of work designed to facilitate the implementation of this
Decision-Recommendation, and to ensure continuing exchange of information and experience on
technical and administrative matters related to the application of GLP Principles and the implementation
of procedures for monitoring compliance with good laboratory practice.
3. INSTRUCTS the Environment Committee and the Management Committee of the Special Programme on
the Control of Chemicals to review actions taken by Member countries in pursuance of this
DecisionRecommendation.
127
See OECD series on Principles of GLP and Compliance Monitoring, no. 3 (Revised)
(Environment Monograph No. 111)
Part II, paragraph 2 of the Council Act contains a Decision that Member countries exchange
information related to their programmes for monitoring of compliance with GLP Principles. This Annex
provides guidance concerning the types of information which should be exchanged. While information
concerning all of the aspects covered in the Guides for Compliance Monitoring Programmes procedures
for Good Laboratory Practice (Annex I) are relevant to an understanding of other Member countries
128 programmes for GLP Compliance Monitoring, certain types of information are of particular importance.
These include:
the procedures for initiating, conducting and reporting on Test Facility Inspections and Study Audits at the
request of other Member countries;
the procedures for obtaining information on test facilities which have been inspected by a (National) GLP
Monitoring Authority of another Member country, including such facilities compliance status; and
the nature of test facility certifications that studies were carried out following GLP Principles.
Where serious deviations which may have affected specific studies are found, the (National) GLP
Monitoring Authority should consider the need to inform relevant (National) GLP Monitoring Authorities
in other Member countries of their findings.
The names of test facilities subject to Test Facility Inspections within a (National) GLP Compliance
Programme, their levels of compliance with the national GLP Principles and the date(s) the Inspections
were conducted should be made available annually to (National) GLP Monitoring Authorities in other
Member countries upon request (see Guidance for GLP Monitoring Authorities for the Preparation of
Annual Overviews of Test Facilities Inspected set out in the Appendix to this Annex.)
Recognition of national programmes for monitoring compliance with GLP Principles may not be
immediately forthcoming from other Member countries. Member countries should be prepared to meet
genuine concerns in a co-operative way. It may be that a Member country is unable to judge the
acceptability of the GLP Compliance Monitoring programmes of another solely on the basis of the
exchange of written information. In such cases, Member countries may seek the assurance they require
through consultation and discussion with relevant (National) GLP Monitoring Authorities. In this context,
OECD provides a forum for the discussion and solving of problems relating to the international
harmonization and acceptance of GLP Compliance Monitoring programmes.
129
To facilitate international liaison and the continuing exchange of information, the
establishment of a single GLP Monitoring Authority covering all good laboratory practice activities within
a Member country has obvious advantages. Where more than one Authority exists, a Member country
should ensure that they operate in a consistent way, and have similar GLP Compliance Programmes. The
Authority or Authorities with responsibilities for international contacts should be identified by Member
countries.
Situations will arise where a national Regulatory Authority of a Member country will need to request
information on the GLP Compliance Status of a test facility located in another Member country. On rare
occasions, and where good reason exists, a particular Study Audit may be requested by a Regulatory
Authority of another Member country. Arrangements should be provided whereby these requests may be
fulfilled and the results reported back to the requesting Regulatory Authority.
Formal international contact should be established for the exchange of information between GLP
Monitoring Authorities. However, this should not be understood to prevent informal contacts between
Regulatory Authorities and the GLP Monitoring Authority in another Member country, to the extent that
such contacts are accepted by the Member countries concerned.
National authorities should note that authorities from another Member country may wish to be
present at a Test Facility Inspection or Study Audit that they have specifically requested; or they may wish
annex ii Revisedguides for compliance monitoring procedures for
GLP GLP HANDBOOK
that representative(s) from the Member country seeking a special Test Facility Inspection or Study Audit
be present at that Inspection or Audit. In these cases, Member countries should enable Inspectors from
another Member country to participate in facility inspections and Study Audits carried out by their GLP
Monitoring Authority.
Overviews of GLP inspections should be circulated to Members of the OECD Panel on GLP and the
OECD Secretariat annually before the end of March. The following minimum set of information should
allow harmonisation of the overviews exchanged among national GLP monitoring authorities:
1. Identification of the facility inspected: Sufficient information should be included to make the
identification of the facility unequivocal, i.e. the name of the test facility the city and country in which it
is located, including inspections abroad.
2. Dates of inspections and decisions: month and year of inspection, and, if appropriate, date of final
decision on GLP compliance status.
3.
130 Nature of inspection: A clear indication should be given of whether a full GLP inspection or only a study
audit was carried out, as well as whether the inspection was routine or not and any other authorities which
were involved.
4. Areas of expertise of the facility inspected: Since GLP compliance is related to the tests performed by a
facility, the area(s) of expertise of the test facilities inspected should be included in the annual overviews,
using the following broad categories:
1) physical-chemical testing
2) toxicity studies
3) mutagenicity studies
4) environmental toxicity studies on aquatic and terrestrial organisms
5) studies on behaviour in water, soil and air; bioaccumulation
6) residue studies
GLP HANDBOOK annex ii Revisedguides for compliance monitoring
procedures for GLP
It is emphasised that these categories are to be used in a flexible manner on a case-by-case basis and
that the aim is to provide information related to GLP compliance of test facilities that will be useful for
other national monitoring authorities.
5. Compliance status: The three following categories should be used to report the compliance status of
facilities:
in compliance
not in compliance
pending (with explanation)
In light of the fact that pending is interpreted differently by Member countries and that the varying
legal and administrative systems do not allow for harmonised use of the term, explanations must
accompany the use of the pending status in the national overview of test facilities inspected. Such
explanations could include, e.g., pending reinspection, pending responses from test facility. pending
completion of administrative procedures. etc.
9. Circulation of annual overviews: Overviews should be circulated annually before the end of March to
the Members of the GLP Panel and the OECD Secretariat. This information can be released to the public
on request.
III. Guidance for GLP Monitoring Authorities: Revised Guidance for the Conduct of Laboratory Inspections and Study Audits
Applications for permission to reproduce or translate all or part of this material should be made to: Head of Publications Service, OECD, 2 rue
Andr-Pascal, 75775 Paris Cedex 16, France
FOREWORD
133
The 1981 Council Decision on Mutual Acceptance of Data [C(81)30(Final)], of which the OECD Principles of Good
Laboratory Practice9 are an integral part, includes an instruction for OECD to undertake activities to facilitate internationally-
harmonized approaches to assuring compliance with the GLP Principles. Consequently, in order to promote the
implementation of comparable compliance monitoring procedures, and international acceptance, among Member countries the
Council adopted in 1983 the Recommendation concerning the Mutual Recognition of Compliance with Good Laboratory
Practice [C(83)95(Final)], which set out basic characteristics of the procedures for monitoring compliance.
A Working Group on Mutual Recognition of Compliance 135 with GLP was established in 1985 under the
chairmanship of Professor V. Silano (Italy) to facilitate the practical implementation of the Council acts on GLP,
develop common approaches to the technical and administrative problems related to GLP compliance and its monitoring, and
develop arrangements for the mutual recognition of compliance monitoring procedures. The following countries and
organisations participated in the Working Group: Australia, Belgium, Canada, Denmark, the Federal Republic of Germany,
Finland, France, Italy, Japan, Norway, the Netherlands, Portugal, Spain, Sweden, Switzerland, the United Kingdom, the
United States, the Commission of the European Communities, the International Organization for Standardization, the
Pharmaceutical Inspection Convention, and the World Health Organization.
The Working Group developed, inter alia, Guidance for the Conduct of Laboratory Inspections and Study Audits. The
Guidance was based on a text developed by the Expert Group on GLP and presented as part of its Final Report in 1982. 10 The
current Guidance was first published in 1988 in the Final Report of the Working Group. 11 A slightly abridged version was
annexed to the 1989 Council Decision-Recommendation on Compliance with Principles of Good Laboratory Practice
[C(89)87(Final)], which superseded and replaced the 1983 Council Act.
In adopting that Decision-Recommendation, the Council in Part III.1 instructed the Environment Committee and the
Management Committee of the Special Programme on the Control of Chemicals to ensure that the Guides for Compliance
Monitoring Procedures for Good Laboratory Practice and the Guidance for the Conduct of Laboratory Inspections and
Study Audits set out in Annexes I and II thereto were updated and expanded, as necessary, in light of developments and
experience of Member countries and relevant work in other international organisations.
GLP HANDBOOK annex iii Revised guidance for the conduct of laboratory inspections
and study audits
9 See The OECD Principles of Good Laboratory Practice (No. 1 in this OECD series on Principles of GLP and Compliance
Monitoring).
10 Good Laboratory Practice in the Testing of Chemicals, OECD, 1982, out of print.
11 Final Report of the Working Group on Mutual Recognition of Compliance with Good Laboratory Practice, OECD
Environment Monograph No. 15, March 1988.
The OECD Panel on Good Laboratory Practice developed proposals for amendments to these Annexes. These
revised Annexes were approved by the Council in a Decision Amending the Annexes to the Council Decision-
Recommendation on Compliance with Principles of Good Laboratory Practice on 9th March, 1995 [C(95)8(Final)].
Part One of this document consists of the Revised Guidance for the Conduct of Laboratory Inspections and Study Audits
as annexed to the 1989 Council Act [C(89)87(Final)] and revised by Council in 1995 [C(95)8(Final)]. The text of the 1989
Council Act will be found in Part Two.
136
OCDE/GD(95)67
GENERAL DISTRIBUTION
OCDE/GD(95)67
PART TWO:
137
XXXXX
PART ONE:
REVISED GUIDANCE FOR THE CONDUCT
OF TEST FACILITY INSPECTIONS AND STUDY AUDITS12
INTRODUCTION
The purpose of this document is to provide guidance for the conduct of Test Facility Inspections and Study Audits which
138 would be mutually acceptable to OECD Member countries. It is principally concerned with Test Facility Inspections, an
activity which occupies much of the time of GLP Inspectors. A Test Facility Inspection will usually include a Study Audit or
review as a part of the inspection, but Study Audits will also have to be conducted from time to time at the request, for
example, of a Regulatory Authority. General guidance for the conduct of Study Audits will be found at the end of this
document.
Test Facility Inspections are conducted to determine the degree of conformity of test facilities and studies with GLP
Principles and to determine the integrity of data to assure that resulting data are of adequate quality for assessment and
decision-making by national Regulatory Authorities. They result in reports which describe the degree of adherence of a test
facility to the GLP Principles. Test Facility Inspections should be conducted on a regular, routine basis to establish and
maintain records of the GLP compliance status of test facilities.
Further clarification of many of the points in this document may be obtained by referring to the OECD Consensus
Documents on GLP (on, e.g., the role and responsibilities of the Study Director).
12 The Revised Guidance for the Conduct of Laboratory Inspections and Study Audits is contained in the revision of Annex II
to the Council Decision-Recommendation on Compliance with Principles of Good Laboratory Practice [ C(89)87(Final) and
C(95)8(Final)]. For the text of C(89)87(Final), see page 21 of this publication.
DEFINITIONS OF TERMS
The definitions of terms in the OECD Principles of Good Laboratory Practice 13 [Annex II to Council Decision
C(81)30(Final)] and in the Guides for Compliance Monitoring Procedures for Good Laboratory Practice 14 [Annex I to
Council Decision-Recommendation C(89)87(Final)/revised in C(95)8(Final)] are applicable to this document.
Inspections for compliance with GLP Principles may take place in any test facility generating health or environmental
safety data for regulatory purposes. Inspectors may be required to audit data relating to the physical, chemical, toxicological
or ecotoxicological properties of a substance or preparation. In some cases, Inspectors may need assistance from experts in
particular disciplines.
The wide diversity of facilities (in terms both of physical layout and management structure), together with the variety of
types of studies encountered by Inspectors, means that the Inspectors must use their own judgement to assess the degree and
extent of compliance with GLP Principles. Nevertheless, Inspectors should strive for a consistent approach in evaluating
whether, in the case of a particular test facility or study, an adequate level of compliance with each GLP Principle has been
achieved.
In the following sections, guidance is provided on the 139 various aspects of the testing facility, including its
personnel and procedures, which are likely to be examined by Inspectors. In each section, there is a statement of purpose, as
well as an illustrative list of specific items which could be considered during the course of a Test Facility Inspection. These
lists are not meant to be comprehensive and should not be taken as such.
Inspectors should not concern themselves with the scientific design of the study or the interpretation of the findings of
studies with respect to risks for human health or the environment. These aspects are the responsibility of those Regulatory
Authorities to which the data are submitted for regulatory purposes.
Test Facility Inspections and Study Audits inevitably disturb the normal work in a facility. Inspectors should therefore
carry out their work in a carefully planned way and, so far as practicable, respect the wishes of the management of the test
facility as to the timing of visits to certain sections of the facility.
Inspectors will, while conducting Test Facility Inspections and Study Audits, have access to confidential, commercially
valuable information. It is essential that they ensure that such information is seen by authorised personnel only. Their
responsibilities in this respect will have been established within their (National) GLP Compliance Monitoring Programme.
INSPECTION PROCEDURES
Pre-Inspection
13 See The OECD Principles of Good Laboratory Practice (No. 1 in this OECD series on Principles of GLP and Compliance
Monitoring).
14 See Revised Guides for Compliance Monitoring Procedures for Good Laboratory Practice (No. 2 (Revised) in this OECD
series on Principles of GLP and Compliance Monitoring).
annex iii Revised guidance for the conduct of laboratory inspections and study
audits GLP HANDBOOK
PURPOSE: To familiarise the Inspector with the facility which is about to be inspected in respect of management
structure, physical layout of buildings and range of studies.
Prior to conducting a Test Facility Inspection or Study Audit, Inspectors should familiarise themselves with the facility
which is to be visited. Any existing information on the facility should be reviewed. This may include previous inspection
reports, the layout of the facility, organisation charts, study reports, protocols and curricula vitae (CVs) of personnel. Such
documents would provide information on:
GLP HANDBOOK annex iii Revised guidance for the conduct of laboratory
inspections and study audits
Inspectors should note, in particular, any deficiencies from previous Test Facility Inspections. Where no
previous Test Facility Inspections have been conducted, a pre-inspection visit can be made to obtain relevant
information.
Test Facilities may be informed of the date and time of Inspectors arrival, the objective of their visit and the
length of time they expect to be on the premises. This could allow the test facility to ensure that the appropriate
personnel and documentation are available. In cases where particular documents or records are to be examined, it
may be useful to identify these to the test facility in advance of the visit so that they will be immediately available
during the Test Facility Inspection.
140
Starting Conference
PURPOSE: To inform the management and staff of the facility of the reason for the Test Facility Inspection or
Study Audit that is about to take place, and to identify the facility areas, study(ies) selected for audit, documents and
personnel likely to be involved.
The administrative and practical details of a Test Facility Inspection or Study Audit should be discussed with
the management of the facility at the start of the visit. At the starting conference, Inspectors should:
Before proceeding further with a Test Facility Inspection, it is advisable for the Inspector(s) to establish contact
with the facilitys Quality Assurance (QA) Unit.
As a general rule, when inspecting a facility, Inspectors will find it helpful to be accompanied by a member of
the QA unit.
Inspectors may wish to request that a room be set aside for examination of documents and other activities.
PURPOSE: To determine whether: the test facility has sufficient qualified personnel, staff resources and
support services for the variety and number of studies 141 undertaken; the organisational structure is
appropriate; and management has established a policy regarding training and staff health surveillance
appropriate to the studies undertaken in the facility.
floor plans;
facility management and scientific organisation charts;
CVs of personnel involved in the type(s) of studies selected for the Study Audit;
list(s) of on-going and completed studies with information on the type of study,
initiation/completion dates, test system, method of application of test substance and name of
Study Director;
staff health surveillance policies;
staff job descriptions and staff training programmes and records;
an index to the facilitys Standard Operating Procedures (SOPs);
specific SOPs as related to the studies or procedures being inspected or audited;
list(s) of the Study Directors and sponsors associated with the study(ies) being audited. The
Inspector should check, in particular:
lists of on-going and completed studies to ascertain the level of work being undertaken by the test
facility;
the identity and qualifications of the Study Director(s), the head of the Quality Assurance unit
and other personnel;
existence of SOPs for all relevant areas of testing.
Quality Assurance Programme
GLP HANDBOOK annex iii Revised guidance for the conduct of laboratory
inspections and study audits
PURPOSE: To determine whether the mechanisms used to assure management that studies are conducted in
accordance with GLP Principles are adequate.
The head of the Quality Assurance (QA) Unit should be asked to demonstrate the systems and methods for QA
inspection and monitoring of studies, and the system for recording observations made during QA monitoring.
Inspectors should check:
that the QA unit functions independently from the staff involved in the studies;
how the QA unit schedules and conducts inspections, how it monitors identified critical phases in
a study, and what resources are available for QA inspections and monitoring activities;
that where studies are of such short duration that monitoring of each study is impracticable,
arrangements exist for monitoring on a sample basis;
the extent and depth of QA monitoring during the practical phases of the study;
the extent and depth of QA monitoring of routine test facility operation;
the QA procedures for checking the final report to ensure its agreement with the raw data;
that management receives reports from QA concerning problems likely to affect the quality or
integrity of a study;
the actions taken by QA when deviations are found;
the QA role, if any, if studies or parts of studies are done in contract laboratories;
the part played, if any, by QA in the review, revision and updating of SOPs.
Facilities
PURPOSE: To determine if the test facility, whether indoor or outdoor, is of suitable size, design and location
to meet the demands of the studies being undertaken.
the design enables an adequate degree of separation so that, e.g., test substances, animals, diets, pathological
specimens, etc. of one study cannot be confused with those of another;
environmental control and monitoring procedures exist and function adequately in critical areas,
e.g., animal and other biological test systems rooms, test substance storage areas, laboratory areas;
the general housekeeping is adequate for the various facilities and that there are, if necessary, pest control
procedures.
Care, Housing and Containment of Biological Test Systems
annex iii Revised guidance for the conduct of laboratory inspections
and study audits GLP HANDBOOK
PURPOSE: To determine whether the test facility, if engaged in studies using animals or other biological test
systems, has support facilities and conditions for their care, housing and containment, adequate to prevent stress and
other problems which could affect the test system and hence the quality of data.
A test facility may be carrying out studies which require a diversity of animal or plant species as well as
microbial or other cellular or sub-cellular systems. The type of test systems being used will determine the aspects
relating to care, housing or containment that the Inspector will monitor. Using his judgement, the Inspector will
check, according to the test systems, that:
143
there are facilities adequate for the test systems used and for testing needs;
there are arrangements to quarantine animals and plants being introduced into the facility and that
these arrangements are working satisfactorily;
there are arrangements to isolate animals (or other elements of a test system, if necessary) known
to be, or suspected of being, diseased or carriers of disease;
there is adequate monitoring and record-keeping of health, behaviour or other aspects, as
appropriate to the test system;
the equipment for maintaining the environmental conditions required for each test system is
adequate, well maintained, and effective;
animal cages, racks, tanks and other containers, as well as accessory equipment, are kept
sufficiently clean;
analyses to check environmental conditions and support systems are carried out as required;
facilities exist for removal and disposal of animal waste and refuse from the test systems and that
these are operated so as to minimise vermin infestation, odours, disease hazards and
environmental contamination;
storage areas are provided for animal feed or equivalent materials for all test systems; that these
areas are not used for the storage of other materials such as test substances, pest control
chemicals or disinfectants, and that they are separate from areas in which animals are housed or
other biological test systems are kept;
stored feed and bedding are protected from deterioration by adverse environmental conditions,
infestation or contamination.
PURPOSE: To determine whether the test facility has suitably located, operational apparatus in sufficient
quantity and of adequate capacity to meet the requirements of the tests being conducted in the facility and that the
materials, reagents and specimens are properly labelled, used and stored.
The Inspector should check that:
GLP HANDBOOK annex iii Revised guidance for the conduct of laboratory
inspections and study audits
PURPOSE: To determine whether adequate procedures exist for the handling and control of the variety of test
systems required by the studies undertaken in the facility, e.g., chemical and physical systems, cellular and microbic
systems, plants or animals.
where required by study plans, the stability of test and reference substances was determined and that the
reference substances specified in test plans were used;
in automated systems, data generated as graphs, recorder traces or computer print-outs are documented as
raw data and archived.
Taking account of the relevant aspects referred to above relating to care, housing or containment
of biological test systems, the Inspector should check that:
test systems are as specified in study plans;
test systems are adequately and, if necessary and appropriate, uniquely identified throughout the
study; and that records exist regarding receipt of the test systems and document fully the number
of test systems received, used, replaced or discarded;
housing or containers of test systems are properly identified with all the necessary information;
there is an adequate separation of studies being conducted on the same animal species (or the
same biological test systems) but with different substances;
there is an adequate separation of animal species (and other biological test systems) either in
space or in time;
annex iii Revised guidance for the conduct of laboratory inspections
and study audits GLP HANDBOOK
the biological test system environment is as specified in the study plan or in SOPs for aspects
such as temperature, or light/dark cycles;
the recording of the receipt, handling, housing or containment, care and health evaluation is
appropriate to the test systems;
written records are kept of examination, quarantine, morbidity, mortality, behaviour, diagnosis
and treatment of animal and plant test systems or other similar aspects as appropriate to each
biological test system;
there are provisions for the appropriate disposal of test systems at the end of tests.
Test and Reference Substances 145
PURPOSE: To determine whether the test facility has procedures designed (i) to ensure that the identify,
potency, quantity and composition of test and reference substances are in accordance with their specifications, and
(ii) to properly receive and store test and reference substances.
there are written records on the receipt (including identification of the person responsible), and
for the handling, sampling, usage and storage of tests and reference substances;
test and reference substances containers are properly labelled;
storage conditions are appropriate to preserve the concentration, purity and stability of the test
and reference substances;
there are written records on the determination of identity, purity, composition, stability, and for
the prevention of contamination of test and reference substances, where applicable;
there are procedures for the determination of the homogeneity and stability of mixtures
containing test and reference substances, where applicable;
containers holding mixtures (or dilutions) of the test and reference substances are labelled and
that records are kept of the homogeneity and stability of their contents, where applicable;
when the test is of longer than four weeks duration, samples from each batch of test and
reference substances have been taken for analytical purposes and that they have been retained for
an appropriate time;
procedures for mixing substances are designed to prevent errors in identification or cross-con-
tamination.
Standard Operating Procedures
PURPOSE: To determine whether the test facility has written SOPs relating to all the important aspects of the
its operations, considering that one of the most important management techniques for controlling facility operations
is the use of written SOPs. These relate directly to the routine elements of tests conducted by the test facility.
GLP HANDBOOK annex iii Revised guidance for the conduct of laboratory
inspections and study audits
each test facility area has immediately available relevant, authorised copies of SOPs;
146 procedures exist for revision and updating of SOPs;
any amendments or changes to SOPs have been authorised and dated;
historical files of SOPs are maintained;
SOPs are available for, but not necessarily limited to, the following activities:
i. receipt; determination of identity, purity, composition and stability; labelling; handling; sampling;
usage; and storage of test and reference substances;
ii. use, maintenance, cleaning, calibration and validation of measuring apparatus, computerised sys-
tems and environmental control equipment;
. preparation and environmental control of areas containing the test systems; vi. receipt, transfer, location,
characterisation, identification and care of test systems; vii. handling of the test systems before, during and at the
termination of the study; viii. disposal of test systems;
PURPOSE: To verify that written study plans exist and that the plans and the conduct of the study are in
accordance with GLP Principles.
the results of these measurements, observations and examinations were recorded directly,
promptly, accurately and legibly and were signed (or initialled) and dated;
any changes in the raw data, including data stored in computers, did not obscure previous entries,
included the reason for the change and identified the person responsible for the change and the
date it was made;
computer-generated or stored data have been identified and that the procedures to protect them
against unauthorised amendments or loss are adequate;
the computerised systems used within the study are reliable, accurate and have been validated;
any unforeseen events recorded in the raw data have been investigated and evaluated;
the results presented in the reports of the study (interim147
or final) are consistent and complete and
that they correctly reflect the raw data.
PURPOSE: To determine whether final reports are prepared in accordance with GLP Principles.
it is signed and dated by the Study Director to indicate acceptance of responsibility for the
validity of the study and confirming that the study was conducted in accordance with GLP
Principles;
it is signed and dated by other principal scientists, if reports from co-operating disciplines are
included;
a Quality Assurance statement is included in the report and that it is signed and dated;
any amendments were made by the responsible personnel;
it lists the archive location of all samples, specimens and raw data.
Storage and Retention of Records
PURPOSE: To determine whether the facility has generated adequate records and reports and whether adequate
provision has been made for the safe storage and retention of records and materials;
The Inspector should check:
148
GLP HANDBOOK annex iii Revised guidance for the conduct of laboratory
inspections and study audits
STUDY AUDITS
Test Facility inspections will generally include, inter alia, Study Audits, which review on-going or completed
studies. Specific Study Audits are also often requested by Regulatory Authorities, and can be conducted
independently of Test Facility Inspections. Because of the wide variation in the types of studies which might be
audited, only general guidance is appropriate, and Inspectors and others taking part in Study Audits will always need
to exercise judgement as to the nature and extent of their examinations. The objective should be to reconstruct the
study by comparing the final report with the study plan, relevant SOPs, raw data and other archived material.
In some cases, Inspectors may need assistance from other experts in order to conduct an effective Study Audit,
e.g., where there is a need to examine tissue sections under the microscope.
obtain names, job descriptions and summaries of training and experience for selected personnel
engaged in the study(ies) such as the Study Director and principal scientists;
check that there is sufficient staff trained in relevant areas for the study(ies) undertaken;
identify individual items of apparatus or special equipment used in the study and examine the
calibration, maintenance and service records for the equipment;
review the records relating to the stability of the test substances, analyses of test substance and
formulations, analyses of feed, etc.;
attempt to determine, through the interview process if possible, the work assignments of selected
individuals participating in the study to ascertain if these individuals had the time to accomplish the tasks
specified in the study plan or report;
obtain copies of all documentation concerning control procedures or forming integral parts of the study,
including:
i. the study plan; ii. SOPs in use at the time the study was done; iii. log books, laboratory notebooks, files,
worksheets, print-outs of computer-stored data, etc.; check calculations, where appropriate;
annex iii Revised guidance for the conduct of laboratory inspections
and study audits GLP HANDBOOK
In studies in which animals (i.e., rodents and other 149 mammals) are used, the Inspectors should
follow a certain percentage of individual animals from their arrival at the test facility to autopsy. They
should pay particular attention to the records relating to:
animal body weight, food/water intake, dose formulation and administration, etc.;
clinical chemistry;
pathology.
When a Test Facility Inspection or Study Audit has been completed, the Inspector should be prepared to discuss
his findings with representatives of the test facility at a Closing Conference and should prepare a written report, i.e.,
the Inspection Report.
A Test Facility Inspection of any large facility is likely to reveal a number of minor deviations from GLP
Principles but, normally, these will not be sufficiently serious to affect the validity of studies emanating from that
test facility. In such cases, it is reasonable for an Inspector to report that the facility is operating in compliance with
GLP Principles according to the criteria established by the (National) GLP Monitoring Authority. Nevertheless,
details of the inadequacies or faults detected should be provided to the test facility and assurances sought from its
senior management that action will be taken to remedy them. The Inspector may need to revisit the facility after a
period of time to verify that necessary action has been taken.
If a serious deviation from the GLP Principles is identified during a Test Facility Inspection or Study Audit
which, in the opinion of the Inspector, may have affected the validity of that study, or of other studies performed at
the facility, the Inspector should report back to the (National) GLP Monitoring Authority. The action taken by that
Authority and/or the regulatory authority, as appropriate, will depend upon the nature and extent of the non-
compliance and the legal and/or administrative provisions within the GLP Compliance Programme.
Where a Study Audit has been conducted at the request of a Regulatory Authority, a full report of the
findings should be prepared and sent via the relevant (National) GLP Monitoring Authority to the
Regulatory Authority concerned.
GLP HANDBOOK annex iii Revised guidance for the conduct of laboratory
inspections and study audits
150
annex iii Revised guidance for the conduct of laboratory inspections
and study audits GLP HANDBOOK
PART TWO:
COUNCIL DECISION-RECOMMENDATION
on Compliance with Principles of Good Laboratory Practice
[C(89)87(Final)]
The Council,
Having regard to Articles 5 a) and 5 b) of the Convention on the Organisation for Economic
Cooperation and Development of 14th December 1960; 151
Having regard to the Recommendation of the Council of 7th July 1977 Establishing Guidelines in Respect of
Procedure and Requirements for Anticipating the Effects of Chemicals on Man and in the Environment
[C(77)97(Final)];
Having regard to the Decision of the Council of 12th May 1981 concerning the Mutual Acceptance of Data in
the Assessment of Chemicals [C(81)30(Final)] and, in particular, the Recommendation that Member countries, in the
testing of chemicals, apply the OECD Principles of Good Laboratory Practice, set forth in Annex 2 of that Decision;
Having regard to the Recommendation of the Council of 26th July 1983 concerning the Mutual Recognition of
Compliance with Good Laboratory Practice [C(83)95(Final)];
Having regard to the conclusions of the Third High Level Meeting of the Chemicals Group (OECD, Paris,
1988);
Considering the need to ensure that test data on chemicals provided to regulatory authorities for purposes of
assessment and other uses related to the protection of human health and the environment are of high quality, valid
and reliable;
Considering the need to minimise duplicative testing of chemicals, and thereby to utilise more effectively
scarce test facilities and specialist manpower, and to reduce the number of animals used in testing;
Considering that recognition of procedures for monitoring compliance with good laboratory practice will
facilitate mutual acceptance of data and thereby reduce duplicative testing of chemicals;
Considering that a basis for recognition of compliance monitoring procedures is an understanding of, and
confidence in, the procedures in the Member country where the data are generated;
Considering that harmonized approaches to procedures for monitoring compliance with good laboratory
practice would greatly facilitate the development of the necessary confidence in other countries procedures;
GLP HANDBOOK annex iii Revised guidance for the conduct of laboratory
inspections and study audits
On the proposal of the Joint Meeting of the Management Committee of the Special Programme on the Control
of Chemicals and the Chemicals Group, endorsed by the Environment Committee;
PART I
. DECIDES that Member countries in which testing of chemicals for purposes of assessment related to the protection
of health and the environment is being carried out pursuant to principles of good laboratory practice that are
consistent with the OECD Principles of Good Laboratory Practice as set out in Annex 2 of the Council Decision
C(81)30(Final) (hereafter called GLP Principles) shall:
establish national procedures for monitoring compliance with GLP Principles, based on laboratory inspections and
study audits;
ii. designate an authority or authorities to discharge the functions required by the procedures for monitoring
152 compliance; and
iii. require that the management of test facilities issue a declaration, where applicable, that a study was carried out
in accordance with GLP Principles and pursuant to any other provisions established by national legislation or
administrative procedures dealing with good laboratory practice.
. RECOMMENDS that, in developing and implementing national procedures for monitoring compliance with GLP
Principles, Member countries apply the Guides for Compliance Monitoring Procedures for Good Laboratory
Practice and the Guidance for the Conduct of Laboratory Inspections and Study Audits, set out respectively in
Annexes I and II which are an integral part of this Decision-Recommendation. 15
PART II
. DECIDES that Member countries shall recognise the assurance by another Member country that test data have been
generated in accordance with GLP Principles if such other Member country complies with Part I above and Part II
paragraph 2 below.
. DECIDES that, for purposes of the recognition of the assurance in paragraph 1 above, Member countries shall:
15 The revision of Annex I of the Council Act [set out in C(95)8)(Final)] will be found in the Revised Guides for
Compliance Monitoring Procedures for Good Laboratory Practice, No. 2 (Revised) in this OECD series on
Principles of GLP and Compliance Monitoring (Environment Monograph No. 110). The revision of Annex II is Part
One of this publication.
annex iii Revised guidance for the conduct of laboratory inspections
and study audits GLP HANDBOOK
designate an authority or authorities for international liaison and for discharging other functions relevant to the
recognition as set out in this Part and in the Annexes to this Decision-Recommendation;
. exchange with other Member countries relevant information concerning their procedures for monitoring compliance,
in accordance with the guidance set out in Annex III 16 which is an integral part of this Decision-Recommendation;
and
i. implement procedures whereby, where good reason exists, information concerning GLP compliance of a test facility
(including information focussing on a particular study) within their jurisdiction can be sought by another Member
country.
. DECIDES that the Council Recommendation concerning the Mutual Recognition of Compliance with Good
Laboratory Practice [C(83)95(Final)] shall be repealed.
PART III
. INSTRUCTS the Environment Committee and the Management Committee of the Special Programme on the
Control of Chemicals to ensure that the Guides for Compliance Monitoring Procedures for Good Laboratory
Practice and the Guidance for the Conduct of Laboratory Inspections and Study Audits set out in Annexes I and
II17 are updated and expanded, as necessary, in light of developments and experience of Member countries and
relevant work in other international organisations.
. INSTRUCTS the Environment Committee and the Management Committee of the Special Programme on the
Control of Chemicals to pursue a programme of work designed to facilitate the implementation of this Decision-
Recommendation, and to ensure continuing exchange of information and experience on technical and administrative
matters related to the application of GLP Principles and the implementation of procedures for monitoring
compliance with good laboratory practice.
. INSTRUCTS the Environment Committee and the Management Committee of the Special Programme on the
Control of Chemicals to review actions taken by Member countries in pursuance of this DecisionRecommendation.
16 The revision of Annex III of the Council Act [Guidance for the Exchange of Information concerning National
Procedures for Monitoring of Compliance of Good Laboratory Practice], set out in C(95)8(Final) will also be found
in Revised Guides for Compliance Monitoring Procedures for Good Laboratory Practice, No. 2 (revised) in this
OECD Series on Principles of GLP and Compliance Monitoring, pages 22-23 (Environment Monograph No. 110).
155
Unclassified ENV/JM/MONO(9
Organisation de Coopration et de Dveloppement Economiques OLIS 22-
: Oct-199
Organisation for Economic Co-operation and Development Dist.: 26-Oct-199
Or. En
ENVIRONMENT DIRECTORATE
JOINT MEETING OF THE CHEMICALS COMMITTEE AND THE WORKING PA
ON CHEMICALS
C ONSENSUS
D OCUMENT
Or. Eng.
Quality assurance and GLP
In the framework of the OECD Consensus Workshop on Good Laboratory Practice, held 16th-18th October 1990 in Bad
Drkheim, Germany, a Working Group met to discuss and arrive at consensus on Good Laboratory Practice and the role of
quality assurance (QA). The Working Group was chaired by Dr. Hans Knemann (Head, GLP Compliance Monitoring
Authority, the Netherlands). Participants were mainly members of national GLP compliance monitoring units or experienced QA
managers from test facilities. The following countries were represented: Austria, Belgium, France, Germany, Ireland, the
Netherlands, Norway, Spain, Sweden, Switzerland, and the United Kingdom.
The Working Group reached consensus on the role of 157 QA as an important component of GLP. It identified major
issues related to QA and GLP, but did not attempt to treat the subject exhaustively. One area not specifically addressed
was the application of QA to field studies. This and some other aspects of QA will be addressed separately.
The draft consensus document developed by the Working Group was circulated to Member countries and revised, based on
the comments received. It was subsequently endorsed by the OECD Panel on GLP, and the Chemicals Group and Management
Committee of the Special Programme on the Control of Chemicals. The Environment Committee then recommended that this
document be derestricted under the authority of the Secretary-General.
In light of the adoption of the Revised OECD Principles of GLP in 1997, this Consensus Document was reviewed by the
Working Group on GLP and revised to 833306
make it consistent with modifications made to the Principles. It was endorsed by the
Working Group in April 1999 and, subsequently by the Joint Meeting of the Chemicals Committee and Working Party on
Chemicals, Pesticides and Biotechnology Document
in August 1999. It too
complet is declassified
disponible under
sur OLIS dansthe authority
son of the Secretary-General.
format dorigine
Complete document available on OLIS in its original format
GLP HANDBOOK annex iv Quality assurance and GLP
Background
The OECD Principles of GLP have been in force for over fifteen years (see No.1 in this OECD Series
on Good Laboratory Practice and Compliance Monitoring, as revised in 1997). Valuable experience has
been gained at test facilities where these principles have been applied, as well as by governmental bodies
monitoring for compliance. In light of this experience, some additional guidance can be given on the role
and operation of quality assurance programmes in test facilities.
159
References to Quality Assurance in the OECD Principles of GLP
A quality assurance programme is defined in the Revised OECD Principles of Good Laboratory
Practice as a defined system, including personnel, which is independent of study conduct and is designed
to assure test facility management of compliance with these Principles of Good Laboratory Practice
[Section I.2.2(8)]. The responsibilities of the management of a test facility include ensuring that there is a
Quality Assurance Programme with designated personnel and assure that the quality assurance
responsibility is being performed in compliance with these Principles of Good Laboratory Practice
[Section II.1.1(2f)]. In addition the test facility management should ensure that the Study Director has
made the approved study plan available to the Quality Assurance personnel [Section II.1.1(2j)] and the
responsibility of the Study Director should include ensuring that the Quality Assurance personnel have a
copy of the study plan and any amendments in a timely manner and communicate effectively with the
Quality Assurance personnel as required during the conduct of the study [Section II.1.2(2b)]. The test
facility management should also ensure that for a multi-site study that clear lines of communication exist
between the Study Director, Principal Investigator(s), the Quality Assurance Programme(s) and study
personnel [Section II.1.1(2o)].
In section II.2 (Quality Assurance Programme) the following requirements are listed:
2.1 General
1. The test facility should have a documented Quality Assurance Programme to assure that studies
performed are in compliance with these Principles of Good Laboratory Practice.
3. This individual(s) should not be involved in the conduct of the study being assured.
2.2 Responsibilities of the Quality Assurance Personnel
1. The responsibilities of the Quality Assurance personnel include, but are not limited to, the following
functions. They should:
a) maintain copies of all approved study plans and Standard Operating Procedures in use in the test
facility and have access to an up-to-date copy of the master schedule;
b) verify that the study plan contains the information required for compliance with these Principles of
Good Laboratory Practice. This verification should be documented;
c) conduct inspections to determine if all studies are conducted in compliance with these Principles of Good
Laboratory Practice. Inspections should also determine that study plans and Standard Operating Procedures have
been made available to study personnel and are being followed.
160 Inspections can be of three types as specified by Quality Assurance Programme Standard
Operating Procedures:
Study-based inspections,
Facility-based inspections,
Process-based inspections.
d) inspect the final reports to confirm that the methods, procedures, and observations are accurately and completely
described, and that the reported results accurately and completely reflect the raw data of the studies;
e) promptly report any inspection results in writing to management and to the Study Director, and to the Principal
Investigator(s) and the respective management, when applicable;
f) prepare and sign a statement, to be included with the final report, which specifies types of inspections and their
dates, including the phase(s) of the study inspected, and the dates inspection results were reported to management
and the Study Director and Principal Investigator(s), if applicable. This statement would also serve to confirm that
the final report reflects the raw data.
In section II.7.4.5 the operation of Quality Assurance personnel in planning, scheduling, performing,
documenting and reporting inspections is one of the categories of laboratory activities for which Standard
Operating Procedures (SOPs) should be available.
In section II.9.2.4. a final study report is required to include a Quality Assurance Programme statement listing
the types of inspections made and their dates, including the phase(s) inspected, and the dates any inspection results
GLP HANDBOOK annex iv Quality assurance and GLP
were reported to management and to the Study Director and Principal Investigator(s), if applicable. This statement
would also serve to confirm that the final report reflects the raw data.
Finally, in section II.10.1(b) records of all inspections performed by the Quality Assurance Programme, as
well as master schedules should be retained in the archives for the period specified by the appropriate authorities.
Management of a test facility has the ultimate responsibility for ensuring that the facility as a
whole operates in compliance with GLP Principles. 161 Management may delegate designated control
activities through the line management organisation, but always retains overall responsibility. An essential
management responsibility is the appointment and effective organisation of an adequate number of appropriately
qualified and experienced staff throughout the facility, including those specifically required to perform QA
functions.
The manager ultimately responsible for GLP should be clearly identified. This persons responsibilities include
the appointment of appropriately qualified personnel for both the experimental programme and for the conduct of an
independent QA function. Delegation to QA of tasks which are attributed to management in the GLP Principles must
not compromise the independence of the QA operation, and must not entail any involvement of QA personnel in the
conduct of the study other than in a monitoring role. The person appointed to be responsible for QA must have direct
access to the different levels of management, particularly to top level management of the test facility.
Qualifications of QA personnel
QA personnel should have the training, expertise and experience necessary to fulfil their responsibilities. They
must be familiar with the test procedures, standards and systems operated at or on behalf of the test facility.
Individuals appointed to QA functions should have the ability to understand the basic concepts underlying the
activities being monitored. They should also have a thorough understanding of the Principles of GLP.
In case of lack of specialized knowledge, or the need for a second opinion, it is recommended that the QA
operation ask for specialist support. Management should also ensure that there is a documented training programme
encompassing all aspects of QA work. The training programme should, where possible, include on-the-job
experience under the supervision of competent and trained staff. Attendance at in-house and external seminars and
courses may also be relevant. For example, training in communication techniques and conflict handling is advisable.
Training should be continuous and subject to periodic review.
The training of QA personnel must be documented and their competence evaluated. These records should be kept
up-to-date and be retained.
Management is responsible for ensuring that Standard Operating Procedures (SOPs) are produced, issued,
distributed and retained. QA personnel are not normally involved in drafting SOPs; however it is desirable that they
review SOPs before use in order to assess their clarity and compliance with GLP Principles.
Management should ensure that the study plan is available to QA before the experimental starting date of the
study. This allows QA:
-
162 to plan a monitoring programme in relation to the study.
As and when amendments are made to the study plan, they should be copied to QA to facilitate effective study
monitoring.
QA inspections
- Study-based inspections: These are scheduled according to the chronology of a given study, usually by first
identifying the critical phases of the study.
- Facility-based inspections: These are not based upon specific studies, but cover the general facilities and activities
within a laboratory (installations, support services, computer system, training, environmental monitoring,
maintenance, calibration, etc.).
- Process-based inspections: Again these are performed independently of specific studies. They are conducted to
monitor procedures or processes of a repetitive nature and are generally performed on a random basis. These
inspections take place when a process is undertaken very frequently within a laboratory and it is therefore
considered inefficient or impractical to undertake study-based inspections. It is recognised that performance of
process-based inspections covering phases which occur with a very high frequency may result in some studies not
being inspected on an individual basis during their experimental phases.
As is the case for any other operative procedures covered by the GLP Principles, the QA programme of
inspections and audits should be subject to management verification. Both the QA staff and management should be
able to justify the methods chosen for the performance of their tasks.
QA inspection reports
National GLP monitoring authorities may request information relating to the types of inspections
and their dates, including the phase(s) of the study inspected. 163 However, QA inspection reports should not
normally be examined for their contents by national monitoring authorities as this may inhibit QA when preparing
inspection reports. Nevertheless, national monitoring authorities may occasionally require access to the contents of
inspection reports in order to verify the adequate functioning of QA. They should not inspect such reports merely as
an easy way to identify inadequacies in the studies carried out.
The review of a studys raw data18 by QA can be carried out in a number of ways. For example, the records may
be examined by QA during experimental phases of the study, during process inspections or during audits of final
reports. Management should ensure that all final reports for which GLP compliance is claimed are audited by QA.
This audit should be conducted at the final draft stage, when all raw data have been gathered and no more major
changes are intended.
The aims of the audit of the final report should be to determine whether:
- the study was carried out in accordance with the study plan and SOPs;
18 In the GLP Principles, raw data are defined as all original test facility records and documentation, or verified
copies thereof, which are the result of the original observations and activities in a study. Raw data also may
include, for example, photographs, microfilm or microfiche copies, computer readable media, dictated observations,
recorded data from automated instruments, or any other data storage medium, that has been recognised as capable
of providing secure storage of information for a time period as stated in section 10 below. [Section I.2.3(7)].
annex iv Quality assurance and GLP GLP HANDBOOK
Before signing the QA statement, QA should ensure that all issues raised in the QA audit have been
appropriately addressed in the final report, that all agreed actions have been completed, and that no changes to the
report have been made which would require a further audit.
Any correction of or addition to a completed final report must be audited by QA. A revised or additional QA
statement would then need to be provided.
The QA statement
164
The Principles of GLP require that a signed quality assurance statement be included in the final report, which
specifies types of inspections and their dates, including the phase(s) of study inspected, and the dates inspections
results were reported to management and the Study Director and the Principal Investigator(s), if applicable [Sections
II.2.2(1f) and II.9.2(4)]. Procedures to ensure that this statement reflects QAs acceptance of the Study Directors
GLP compliance statement and is relevant to the final study report as issued are the responsibility of management.
The format of the QA statement will be specific to the nature of the report. It is required that the statement
include full study identification and the dates and phases of relevant QA monitoring activities. Where individual
study-based inspections have not been part of the scheduled QA programme, a statement detailing the monitoring
inspections that did take place must be included, for example, in the case of shortterm studies where repeated
inspections for each study are inefficient or impractical.
It is recommended that the QA statement only be completed if the Study Directors claim to GLP compliance
can be supported. The QA statement would also serve to confirm that the final report reflects raw data. It remains the
Study Directors responsibility to ensure that any areas of non-compliance with the GLP Principles are identified in
the final report.
Compliance with GLP is a regulatory requirement for the acceptance of certain studies. However, some test
facilities conduct in the same area studies which are and which are not intended for submission to regulatory
authorities. If the non-regulatory studies are not conducted in accordance with standards comparable to GLP, this
will usually have a negative impact on the GLP compliance of regulatory studies.
Lists of studies kept by QA should identify both regulatory and non-regulatory studies to allow a proper
assessment of work load, availability of facilities and possible interferences. QA should have access to an up-to-date
copy of the master schedule to assist them in this task. It is not acceptable to claim GLP compliance for a non-GLP
study after it has started. If a GLP-designated study is continued as a non-GLP study, this must be clearly
documented. QA at small test facilities
At small test facilities it may not be practicable for management to maintain personnel dedicated
solely to QA. However, management must give at least one individual permanent, even if part-time,
responsibility for co-ordination of the QA function. Some continuity in the QA staff is desirable to allow
the accumulation of expertise and to ensure consistent interpretation. It is acceptable for individuals
GLP HANDBOOK annex iv Quality assurance and GLP
involved in studies that comply with GLP to perform the QA function for GLP studies conducted in other
departments within the test facility. It is also acceptable for personnel from outside the test facility to
undertake QA functions if the necessary effectiveness required to comply the GLP principles can be
ensured.
This concept may be additionally applied to multi-site studies, for example field studies, on the condition
that overall responsibility for co-ordination is clearly established.
165
Compliance of Laboratory Suppliers with GLP Principles
167
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: Sep-20
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-20
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JOINT MEETING OF THE CHEMICALS COMMITTEE AND
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ENV/JM/MONO(99)21
CONSENSUS DOCUMENT
Or. Eng.
958824
In the framework of the OECD Consensus Workshop on Good Laboratory Practice, held 16th-18th October 1990 in Bad
Drkheim, Germany, a Working Group met to discuss and arrive at consensus on the compliance of laboratory suppliers with
Principles of GLP. The Working Group was chaired by Dr. David Moore (Head, GLP Compliance Monitoring Authority, United
Kingdom). Participants in the Working Group represented GLP compliance monitoring units and test facilities in Austria, Finland,
France, Germany, Japan, Sweden and the United Kingdom.
The Working Group established the context of this consensus document, and made recommendations related to the role of
suppliers vis--vis GLP Principles including the role of 169 accreditation as a complementary tool to GLP compliance. It
reached consensus and provided guidance on issues related to several specific categories of supplies. These issues are set out
in the document.
The draft consensus document developed by the Working Group was circulated to Member countries and revised, based on the
comments received. It was subsequently endorsed by the OECD Panel on GLP and the Chemicals Group and Management
Committee of the Special Programme on the Control of Chemicals. The Environment Committee then recommended that this
document be derestricted under the authority of the Secretary-General.
In light of the adoption of the Revised OECD Principles of GLP in 1997, this Consensus Document was reviewed by the
Working Group on GLP and revised to make it consistent with modifications made to the Principles. It was endorsed by the Working
Group in April 1999 and, subsequently by the Joint Meeting of the Chemicals Committee and Working Party on Chemicals,
Pesticides and Biotechnology in August 1999. It too is declassified under the authority of the Secretary-General.
GLP HANDBOOK annex v Compliance of laboratory suppliers with GLP principles
Background
The responsibilities of the management of test facilities are defined in the OECD Principles of Good Laboratory Practice 19 under
the heading of Test Facility Organisation and Personnel (Section II.1). Test facility management should ensure that the GLP
170 Principles are complied with at the test facility and that a sufficient number of qualified personnel, appropriate facilities,
equipment and materials are available for the timely and proper conduct of the study. They also should ensure that test facility
19 See The OECD Principles of Good Laboratory Practice (as revised in 1997), No. 1 in this OECD series on Principles of GLP and
Compliance Monitoring.
suppliers meet requirements appropriate to their use in a study. On the basis of these requirements, suppliers of materials used in
studies submitted to regulatory authorities need not be included in national GLP compliance programmes but they do play a
definite role relating to the responsibilities of the management of test facilities.
As by definition in the GLP Principles, the responsibility for the quality and fitness for use of equipment and materials rests
entirely with the management of the test facility. The acceptability of equipment and materials in GLP-compliant laboratories
should therefore be guaranteed to any regulatory authority to whom studies are submitted. The main purpose of this document is
to offer advice to both test facility management and suppliers as to how they might meet GLP requirements through national
accreditation schemes and/or working to formal national or international standards, or by adopting other measures which may be
appropriate to a particular product. National or international standards, which may be set by an accreditation organisation, may
be applied whenever they are acceptable to the test facilitys management. The management of facilities, individually or in co-
operation with each other, should thus maintain close contacts with suppliers and with their accreditation organisations.
Laboratories use various supplied materials in studies conducted in compliance with the GLP Principles. Suppliers have
attempted to produce products which satisfy users obligations as set out in the GLP Principles. Many suppliers have adopted
manufacturing practices which comply with formal national or international standards, or have become accredited within various
national schemes. These initiatives have been taken in the anticipation that supplied products will therefore be acceptable to
regulatory authorities who require studies to be conducted in compliance with GLP Principles.
Suppliers are recommended to implement International Standard ISO 9001, and particularly Part 1 Specification for
Design/Development, Production, Installation and Servicing. This International Standard can be supported with European
Standard EN 45001; the importance of Paragraph 5.4.7 of the latter, which refers to subcontracting, is emphasized.
Where appropriate, accreditation can be especially useful to suppliers. Accreditation schemes frequently monitor members
implementation of national and international standards; thus a supplier or manufacturers accreditation certificate may signify to
the customer the satisfactory implementation of a standard in addition to other aspects of accreditation. It is recommended that
suppliers seek membership, where feasible and/or appropriate, in national accreditation schemes.
Although accreditation is a useful complementary tool to support compliance with the GLP Principles, it is not an
acceptable alternative to GLP compliance nor will it lead to international recognition in the context of meeting the requirements
for the mutual acceptance of data as set out in the OECD Council Acts. 20
20 Decision of the Council concerning the Mutual Acceptance of Data in the Assessment of Chemicals [C(81)30(Final)], adopted
12th May 1981, and Council Decision-Recommendation on Compliance with the Principles of Good Laboratory Practice
[C(89)87(Final)], adopted 2nd October 1989. For the texts of both Council Acts, see The OECD Principles of Good Laboratory
Practice (as revised in 1997), No. 1 in this OECD series on Principles of GLP and Compliance Monitoring.
Test systems
The Revised Principles of GLP [Section II.8.2(5b)] 171 require that the characterisation of test systems (animals,
plants and other organisms) should be given in the study plan. This is the requirement that can be directly fulfilled by
information from the supplier. In some countries where GLP has been implemented, suppliers belong to national regulatory or
voluntary accreditation schemes (for example, for laboratory animals) which can provide users with additional documentary
evidence that they are using a test system of a defined quality.
Although not specifically indicated in the Revised GLP Principles, animal feed should be analysed at regular intervals to
establish its composition in order to avoid any potential interference with the test system. Water and bedding should also be
analysed to ensure that contaminants are not present at levels capable of influencing the results of a study. Certificates of analysis
are routinely provided by suppliers, including water authorities. Suppliers should provide appropriate documentary evidence to
ensure the reliability of the analyses carried out.
Radio-labeled chemicals
Commercial pressure has forced suppliers of radio-labeled chemicals to seek formal GLP compliance by inclusion in
national GLP compliance programmes. In many instances these suppliers produce labeled test items which are required to be
fully characterised by procedures which comply with the GLP Principles. Suppliers of radio-labeled chemicals may need to be
covered through national GLP compliance monitoring programmes.
All computer software, including that obtained from an external supplier, should normally be acceptance-tested before
being put into service by a laboratory. From this requirement it can be inferred that it is acceptable for formal validation of
applications software to be carried out by the supplier on behalf of the user, provided that the user undertakes the formal
acceptance tests.
The user should ensure that all software obtained externally has been provided by a recognised supplier. Many suppliers
have endeavoured to meet users requirements by implementing ISO 9001. This is considered to be useful.
The Revised Principles of GLP (Section II.1.2.2g) place the responsibility to ensure that software programmes have been
validated with the Study Director. The validation may be undertaken by the user or the supplier, but full documentation of the
process must be available and should be retained in the archives. In cases where the validation is performed by the user,
Standard Operating Procedures should be available [Section II.7.4(2b)].
172 It is the responsibility of the user to undertake an acceptance test before use of the software programme. The
acceptance test should be fully documented.
[See OECD Consensus Document No. 10, The Application of the Principles of GLP to Computerised
Systems, 1995.]
Reference items
It is the responsibility of test facility management to ensure that all manufactured reference items meet the GLP
requirements for identity, composition, purity and stability for each batch of material (Sections II.6.2.2 and II.6.2.4 of the
Revised Principles of GLP).
Certificates provided by suppliers should cover data on identity, purity and stability (under specified conditions if needed)
and any other characteristics to define each batch appropriately. In special cases the supplier may need to provide further
information on, for example, methods of analysis, and should be prepared to demonstrate national/international measures of
quality control, for example by reference to Good Manufacturing Practice or a national/international pharmacopoeia.
Apparatus
It is the responsibility of test facility management to ensure that instruments are adequate and functioning according to their
intended use. Test facility management should also ensure that instruments are inspected and calibrated at prescribed intervals.
Calibration should be traceable to national or international standards of measurement as appropriate. If reference standards are
kept by the user they should be calibrated by a competent body at prescribed intervals.
Suppliers are expected to provide all information necessary for the correct performance of the instruments. For certain types of
instruments, for example balances and reference thermometers, calibration certificats should also be provided.
Sterilised materials
It is the responsibility of test facility management to ensure that materials which should be free from sources of infection have
been properly sterilised with appropriate control procedures. Suppliers should be able to provide proper evidence, for example
through certificates or reference to national standards, that materials sterilised by irradiation or other means or agents are free from
sources of infection or undesirable residues from sterilisation agents.
General reagents
173
The user should ensure that reagents are obtained only from an accredited supplier. The supplier should provide documentary
evidence of any accreditation status. Whre there is no national accreditation scheme the user should ensure receipt of a certificate of
analysis from the supplier which guarantees that the reagent is a described by the label.
The user should be responsible for ensuring, by arrangement with the supplier, that all reagents are labeled with sufficient detail
to comply with the specific requirements of GLP.
Detergents and disinfectants
The user should be aware of all active constituents to enable a suitable choice for use and to remove the potential for any
contamination or interference which could be said to affect the integrity of a study.
The user should be responsible for ensuring by arrangement with the supplier that all such products are labeled with at least the
following inform ation: source, identity, date of production, shelf life, storage conditions.
The supplier should ensure that documentation is available giving evidence of any accreditation status. Where there is no
national accreditation scheme the supplier should provide the user with a validation document which gives evidence of the fact that
the product is as described by its label.
The Application of the GLP Principles to Field Studies
175
Unclassified
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JOINT MEETING OF THE CHEMICALS COMMITTEE AND THE WORKING P
ON CHEMICALS
ENV/JM/MONO(99)22
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D OCUMENT
Or. Eng.
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In the framework of the Second OECD Consensus Workshop on Good Laboratory Practice, held 21st23rd May 1991, in Vail,
Colorado, experts discussed and reached consensus on the application of the GLP Principles to field studies. The Workshop was
chaired by Dr. David Dull (Director, EPA Laboratory Data Integrity Program, United States). Experts from the following countries
took part in the Consensus Workshop: Belgium, Canada, Denmark, Finland, Germany, the Netherlands, Switzerland, the United
Kingdom and the United States.
The issues to be dealt with by the Workshop were defined at the First Consensus Workshop on GLP held in October 1990 in Bad
Drkheim, Germany. The Second Consensus Workshop was 177 able to reach agreement on the management of field studies in
relation to compliance with the GLP Principles, interpreting such concepts as study, test site, study director, management
responsibilities, quality assurance, etc. for application in this specific context. The Consensus Document gives guidance for the
interpretation of the relevant GLP Principles in relation to field studies.
The draft Consensus Document developed by the Second Consensus Workshop was circulated to Member countries, and revised
based on the comments received. It was subsequently endorsed by the OECD Panel on GLP and the Chemicals Group and
Management Committee of the Special Programme on the Control of Chemicals. The Environment Committee then recommended
that this document be derestricted under the authority of the Secretary-General.
In light of the adoption of the Revised OECD Principles of GLP in 1997, this Consensus Document was reviewed by the
Working Group on GLP and revised to make it consistent with modifications made to the Principles. It was endorsed by the Working
Group in June 1999 and, subsequently by the Joint Meeting of the Chemicals Committee and Working Party on Chemicals,
Pesticides and Biotechnology in August 1999. It too is declassified under the authority of the Secretary-General.
annex vi The application of the GLP principles to
field studies GLP HANDBOOK
CONTENTS
BACKGROUND . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 179
INTERPRETATIONS RELATED TO DEFINITIONS OF TERMS . . . . . . . . . . . . . . . . . . . . . . . . 180
INTERPRETATIONS RELATED TO TEST FACILITY ORGANISATION
AND PERSONNEL . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 181
Test Facility Managements Responsibilities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 181
178
Study Directors Responsibilities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 182
Principal Investigators Responsibilities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 182
INTERPRETATIONS RELATED TO THE QUALITY ASSURANCE PROGRAMME . . . . . . . . 183
INTERPRETATIONS RELATED TO FACILITIES . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 184
General . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 184
Facilities for Handling Test and Reference Items . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 184
Waste Disposal . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 184
INTERPRETATIONS RELATED TO APPARATUS, MATERIAL AND REAGENTS . . . . . . . . . 185
INTERPRETATIONS RELATED TO TEST SYSTEMS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 185
INTERPRETATIONS RELATED TO TEST AND REFERENCE ITEMS . . . . . . . . . . . . . . . . . . . 185
Receipt, Handling, Sampling and Storage . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 185
Characterisation . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 186
INTERPRETATIONS RELATED TO STANDARD OPERATING PROCEDURES . . . . . . . . . . . 186
INTERPRETATIONS RELATED TO PERFORMANCE OF THE STUDY. . . . . . . . . . . . . . . . . . 187
Study Plan . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 187
Conduct of the Study. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 187
INTERPRETATIONS RELATED TO REPORTING OF STUDY RESULTS. . . . . . . . . . . . . . . . . 187
INTERPRETATIONS RELATED TO STORAGE AND RETENTION
OF RECORDS AND MATERIALS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 187
GLP Consensus Document
Background
The Principles of Good Laboratory Practice (GLP), as adopted by the OECD in 1981 and revised in
1997, provide recommended test management standards for a wide variety of studies done for regulatory
purposes or other assessment-related purposes. The report of the Expert Group1 21 which developed the
GLP Principles in 1981expressly lists the following types of tests as covered by the GLP Principles:
physico-chemical properties;
179
toxicological studies designed to evaluate human health effects (short- and long-term);
ecological studies designed to evaluate environmental chemical fate (transport, biodegradation, and
bioaccumulation).
Testing intended to determine the identity and magnitude of pesticide residues, metabolites, and
related compounds for tolerance and other dietary exposure purposes is also included in the overall
classification of ecological studies. The GLP Principles are intended to cover a broad range of commercial
chemical products including pesticides, pharmaceuticals, cosmetics, veterinary drugs as well as food
additives, feed additives and industrial chemicals.
Most experience in GLP compliance monitoring by the national monitoring authorities in OECD
Member countries has been gained in areas related to (non-clinical) toxicological testing. This is because
these studies were traditionally deemed of greatest importance from a human health standpoint, and early
identified laboratory problems primarily involved toxicological testing. Many established compliance
monitoring procedures of the OECD Member countries were thus developed from experience gained in
the inspection of toxicology laboratories. Compliance monitoring procedures for laboratories performing
ecotoxicological studies are also relatively well developed.
The area of field studies with pesticides or veterinary drugs, such as residue, metabolism, and
ecological studies, presents a substantial challenge to GLP monitoring authorities and experimental testing
facilities in that study plans, conditions, methods, techniques, and findings differ significantly from those
traditionally associated with toxicological testing, as well as most laboratory-based ecotoxicological
testing.
In the following the special issues associated with field studies are identified and addressed in order
to provide meaningful guidance and interpretation with respect to the Revised Principles of GLP. Many of
the points in the original Consensus Document were integrated into the Revised Principles. The following
deals only with those issues which might still be considered to need further interpretation.
21 Good Laboratory Practice in the Testing of Chemicals, OECD, 1982, out of print.
annex vi The application of the GLP principles to
field studies GLP HANDBOOK
The expression non-clinical health and environmental safety study in the definition of Good
Laboratory Practice is understood to include field studies. A field study is a study which includes
experimental activities carried out outside the usual laboratory situation, such as on land plots, in outdoor
ponds or in greenhouses, often in combination or in sequence with activities carried out in a laboratory.
Field studies include, but are not limited to, studies for determining:
The term test facility, when applied to field studies, may include several test sites, at one or more
geographical locations, where phases or components of a single overall study are conducted. The different
test sites may include, but are not limited to:
One or more agricultural or other in- or outdoor sites (like greenhouses) where the test or control item is
applied to the test system.
In some cases, a processing facility where harvested commodities are treated to prepare other items, e.g.
the conversion of tomatoes into juice, puree, paste, or sauce.
One or more laboratories where collected specimens (including specimens from processing) are analysed
for chemical or biological residues, or are otherwise evaluated.
Study Director and Principle Investigator: In field studies which could involve work at more
than one test site, some of the Study Directors responsibilities may be delegated. At each test site when
the Study Director cannot exercise immediate supervision, study procedures may be controlled by a
member of the staff, called the Principal Investigator. The Principal Investigator means an individual
responsible for the conduct of certain defined phases of the study, acting on behalf of the Study Director.
The responsibilities of the Principal Investigator are described in the Revised GLP Principles in Section
II.1. and in the section on Principal Investigator`s Responsibilities below.
GLP HANDBOOK annex vi The application of the GLP
principles to field studies
A non-clinical health and environmental safety study in the field, at one or more test sites, could
include both the field and laboratory phases defined in a single study plan.
Test item could include but need not be limited to: a chemical substance or mixture, a radio-
labelled compound, a substance of biological origin, or a process waste. In the context of field residue or
environmental studies, the test item is generally an active ingredient or a mixture (formulation)
comprising active ingredient(s) and one or more inert 181 components such as emulsifiers.
Other field studies on plant and soil metabolism are designed to study the fate of the test item and
use radio-labelled forms of the chemical; the test item can be analytical grade or technical grade material
which may be formulated at the field site immediately prior to application.
In the context of field studies, reference items are also understood to include analytical standards.
They should be adequately characterised for the type of study being conducted, and this characterisation
should be addressed in the study plan.
In field studies the term vehicle generally refers to the diluent, if any, used to dilute the test item
(usually a formulation or a tank mix of a pesticide). The term also includes any additional solvents,
surface active agents or other chemicals used to enhance the solubility or application characteristics.
Management, from the perspective of the GLP Principles, has several connotations and may involve
several persons in several locations. The management level to which the Study Director reports has the
ultimate responsibility for ensuring that the facilities operate in compliance with GLP Principles. In the
context of field studies, there may also be several test site management entities that are primarily
responsible for personnel, facilities, apparatus and materials at each test site and for formally assuring the
Study Director (in writing) that these requirements can be met for the appropriate phase of each study.
Test site management must also assure the Study Director that the provisions of the GLP Principles will be
followed.
Test site management must assure the Study Director and his/her management that there is an
appropriately qualified individual (Principal Investigator) at the test site who can effectively carry out
his/her phase of the study in conformance with the study plan, applicable SOPs, the GLP Principles and
the specific technical requirements. The overall management must have a firm understanding and working
agreement with the test site management as to how and by whom the Quality Assurance Programme
(QAP) will be carried out.
With multiple levels of management, study personnel and QAP staff, it is critical that there are clear
lines of authority and communication, and assigned responsibilities, so that the Study Director can
annex vi The application of the GLP principles to
field studies GLP HANDBOOK
effectively carry out his/her GLP responsibilities. This should be documented in writing. It is the
responsibility of the overall management to ensure that clear lines of communication exist.
There are likely to be some test sites where aspects of study conduct are indirectly (or directly)
carried out by non-permanently employed personnel. Where these persons have generated or entered raw
data, or have performed unsupervised activities relevant to the conduct of the study, records of their
qualifications, training and experience should be maintained. Where these individuals have carried out
routine maintenance operations such as crop thinning, weeding, fertilisation, etc. subject to supervision by
more highly qualified staff, no such personnel records need be maintained.
The designation of the Study Director is a key decision in assuring that a study will be properly
conducted according to the GLP Principles. The terminology responsibility for the overall conduct of the
study and for its final report may be interpreted in a broad sense for most field studies, as the Study
Director may be geographically remote from parts of the actual experimental work. The Study Director
thus will have to rely heavily on his/her designated Principal Investigator(s) and associated technical
personnel at each test site to assure technical reliability and GLP compliance. The responsibilities of such
personnel should be explicitly fixed in writing.
Effective communications have to be established and maintained between the Study Director and all
associated personnel to ensure that the study plan and SOPs are being followed, and that all other GLP
requirements are being met. Communications with participating QAP personnel are also critical to ensure
that they are properly notified of critical phase activity, that QAP inspection reports are transmitted in a
timely manner, and that corrective actions are implemented in a meaningful fashion.
As part of his/her duties, the Study Director has responsibility in ensuring that: 1) adequately
characterised test and reference items are available at the test sites, as necessary; 2) there is adequate
coordination between field (or processing) sites and analytical laboratories for specimen analyses; and 3)
data from field, processing and laboratory sites are properly collated and archived.
Where a Study Director cannot exercise on-site supervisory control over any given phase of the
study, a Principal Investigator will be identified/nominated to act on the Study Directors behalf for the
defined phase.
The Principal Investigator will be named in the study plan or amendment, which will also delineate
the phase(s) of the study covered by his responsibilities. The Principal Investigator will be an
appropriately qualified and experienced individual suitably positioned to be able to immediately supervise
the applicable phase.
GLP HANDBOOK annex vi The application of the GLP
principles to field studies
The Principal Investigator, acting on behalf of the Study Director, will ensure that the relevant
phase(s) of the study are conducted in accordance with the study plan, relevant SOPs, and with GLP.
These responsibilities will include, but are not necessarily limited to:
a. Collaborate as appropriate with the Study Director and other study scientists in the drafting of the study
plan.
b. Ensure that the study personnel are properly briefed, that such briefings are documented, and that copies
of the study plan and relevant SOPs are freely accessible to personnel as necessary.
c. Ensure that all experimental data, including unanticipated responses of the test system, are accurately
recorded.
d. Ensure that all deviations from SOPs and the study plan 183 (unforeseen occurrences or
inadvertent errors) are noted when they occur and that, where necessary, corrective action is
immediately taken; these are recorded in the raw data. As soon as practicable, inform the Study
Director of such deviations. Amendments to the study plan (permanent changes, modifications or
revisions), however, must be approved in writing by the Study Director.
e. Ensure that all relevant raw data and records are adequately maintained to assure data integrity and
that they are transferred in a timely way to the Study Director or as directed in the study plan.
f. Ensure that all samples and specimens taken during the relevant study phase(s) are adequately protected
against confusion and deterioration during handling and storage. Ensure that these samples and specimens
are dispatched in an appropriate manner.
g. Sign and date a report of the relevant phase(s), certifying that the report accurately presents all the work
done, and all the results obtained, and that the work was conducted in compliance with GLP. Include in
this report sufficient commentary to enable the Study Director to write a valid Final Report covering the
whole study, and send the report to the Study Director. The Principal Investigator may present the original
raw data as his report, where applicable, including a statement of compliance with GLP.
Usually a single individual will not be able to perform the quality assurance function for field
studies, but rather there will be a need for a number of persons. In some cases, these persons may all be in
the employment of a single unit (for example, that of the study sponsor); in other cases they may be
employed by different units (for example, part by the study sponsor and part by contractors). There must
be a full, frank flow of information from the different quality assurance persons to the responsible test site
management, to the responsible Principal Investigator(s), to the Study Director as the person responsible
for the overall conduct of the study, to the Study Directors management, and to the latters Quality
annex vi The application of the GLP principles to
field studies GLP HANDBOOK
Assurance Programme. Likewise, it will be necessary to assure effective communications from the Study
Director and/or Principal Investigators to the quality assurance personnel for notification of critical
activities.
Because of the complex nature of field studies, which may involve similar activities at separate
locations, and the fact that the exact time of certain activities will depend upon local weather or other
conditions, flexible quality assurance procedures may be required. [See Quality Assurance and GLP,
No. 4 in this OECD Series on the Principles of Good Laboratory Practice and Compliance Monitoring.]
The geographical spread of test sites may mean that quality assurance personnel will also need to
manage language differences in order to communicate with local study personnel, the Study Director,
Principal Investigators and test site management.
Irrespective of where the test sites are located, the written reports of quality assurance personnel must
reach both management and the Study Director. The actual receipt of such reports by management and the
Study Director should be documented in the raw data.
184
Interpretations Related to Facilities
General
Facilities for a field study will typically consist wholly or partially of agricultural or farming units,
forested areas, mesocosms or other outdoor study areas where there is customarily much less, or even no,
control over the environmental conditions than that achievable in an enclosed laboratory or a greenhouse.
Also, security and oversight of operations and facilities are not as manageable as for a laboratory-based
study.
An issue of concern in pesticide field studies is the potential for contamination of the study plots
from drift or overspray of pesticides being used on neighbouring property. This can particularly be a
problem for test plots located in the midst of, or adjacent to, other land used for commercial agricultural
activities. Study plot locations should be chosen so as to ensure minimal possibility of off-site
interferences. Preferably, the plots should be located in areas free of interfering chemicals or where the
historical pesticide use (both study and normal use applications) has been documented.
It is recognised that laboratories conducting pesticide residue analysis must be especially cognisant
of the potential for contaminating specimens, as well as of reference standards. Receipt and storage areas
for specimens must be separate from storage areas for pesticide formulations and other test or reference
items. Areas used for specimen and sample preparation, instrumentation, calibration of sprays, reference
standard preparation, and for washing glassware should be adequately isolated from each other and from
other functions of the laboratory which might introduce contamination.
Storage areas for test and reference items at all test sites should be environmentally monitored, if
required, to assure conformance with established stability limits for these materials. Test and reference
items should not be placed in the same storage containers with collected test system specimens and other
materials of low concentrations which are being stored for shipment to the analytical laboratory or to
offsite archives. There should be adequate storage and disposal facilities available for pesticide and related
wastes such that there is no potential for cross-contamination of test systems, of test or reference items or
of collected specimens.
Waste Disposal
Of particular concern at field sites is the storage and disposal of excess pesticide dilutions (or tank
mixes). The minimum volume of such dilutions should be prepared. In addition to assuring that these
potentially hazardous wastes are not endangering human health or the environment, these materials also
need to be controlled in such a way that there is no impact on 185 test systems, specimens or other
materials or equipment used in studies. It should also be assured that unused test and
reference items are returned to the sponsors or suppliers, or are disposed of in a legal and responsible
manner.
In the field phase, the frequency of operations such as inspection, cleaning, maintenance and
calibration may need to reflect possible transport of the equipment (for example when balances are moved
from site to site). These operations should be described by Standard Operating Procedures.
Apparatus which is used only for one specific study (e.g. leased or rented equipment, or equipment
such as sprayers which have been specifically configured for use in one study) may not have records of
periodic inspection, cleaning, maintenance and calibration. In such cases, this information may be
recorded in the study-specific raw data. If it is not feasible to document the relevant procedures as SOPs,
they can be documented in study plans, with references to handbooks.
Materials and reagents should be verified as being non-interfering by the analysis of an adequate
number of reagent blanks.
Some test systems utilised in field studies may consist of complex ecosystems that will be difficult to
characterise, identify or otherwise document to the extent that can be accomplished for more traditional
test systems. However, these more complex test systems should be described by location and
characteristics, to the degree possible, in the study plan, and the actual study plot areas identified by signs,
markers or other means. Plants, seeds, soils and other materials being used as test systems should be
described and documented as to their source, date(s) of acquisition, variety, strain, cultivar or other
annex vi The application of the GLP principles to
field studies GLP HANDBOOK
identifying characteristics, as appropriate. Soil should be characterised to the degree necessary and
documented to verify suitability for its use in field studies.
As noted under Facilities, test systems for pesticide studies should be free from interferences from
outside sources, particularly drift or overspray from neighbouring plots. If relevant, the study plan should
discuss the need for analysis of preliminary or pre-treatment control samples. Control plots and buffer
zones are to be used to the degree necessary to account for or minimise potential interferences or other
forms of study bias.
Date of receipt;
Complete log documenting distribution, accounting for the total amount of the test item and
final disposal.
Characterisation
It is not necessary to have all characterisation records and data available at each test site. However,
sufficient information needs to be present to assure that the test and reference items have been adequately
characterised. This generally will comprise: name of the chemical (e.g. CAS number, code name, etc.); lot
or batch number; amount of active ingredient; site where the analyses were conducted, and where the
relevant raw data are archived; stability with regard to storage and transfer conditions (i.e. expiry date,
temperature range); and safety precautions.
Product chemistry data based on separate laboratory experiments will frequently have defined the
stability of test item mixtures in the vehicle over a range of pH, temperature and hardness values. If
GLP HANDBOOK annex vi The application of the GLP
principles to field studies
relevant restrictions are known, then the study plan may specify appropriate ranges for the application,
and the actual values should be recorded in the raw data as well as the time of mixing and the termination
of the application.
Similar data for homogeneity are also often available from producers that show non-separation of
mixture phases over various periods of time under specified conditions.
If tank mix samples are to be analysed, this requirement should be specified in the study plan, along
with sampling and analytical methodology.
Special emphasis should be placed on key procedures for field studies, such as test item storage, data
collection in the field, application equipment calibration, test item application, and specimen collection
and transportation.
The study plan will also require inclusion of all methodologies intended to be used
for specimen analyses. This may require an approved study 187 plan amendment if the method has
not been fully developed or validated at the time the original study plan is signed. The study plan should
also provide for all speciality analysis, e.g. confirmation procedures.
Study Plan
Study plans intended for most field studies will need to reflect more flexibility than traditional
laboratory studies due to the unpredictable nature of the weather, the possibility of the need to employ
borrowed or rented equipment, special arrangements for the preservation, storage and transport of
specimen samples, or other special circumstances. Rather than citing specific dates in the study plan for
key phases such as test item application, culturing operations and specimen sampling, a more realistic
approach would be to specify commodity growth stages for these activities to the degree possible and
giving only approximate time frames.
In order to approve study plan amendments in a timely and effective fashion, special communication
procedures will need to be established between the personnel at the test sites and the Study Director if the
two entities are not at the same location.
In view of the importance of quality control measures in residue and environmental analyses, these
should be addressed in SOPs and/or in the study plan. Procedures to evaluate reproducibility, freedom
from interferences, and confirmation of analyticdentity would typically be included.
GLP HANDBOOK annex vi The application of the GLP
principles to field studies
Raw data includes any worksheets, records, memoranda, notes, or exact copies thereof that are the
result of original observations and activities of a study and are necessary for the reconstruction and
evaluation of the report of that study. In the event that exact transcripts of raw data have been prepared
(e.g. tapes which have been transcribed verbatim, dated, and verified accurate by signature), the exact
copy or exact transcript may be substituted for the original source as raw data. Examples of raw data
include photographs, microfilm, or microfiche copies, computer printouts, magnetic media, including
dictated observations, and recorded data from automated instruments.
annex vi The application of the GLP principles to
field studies GLP HANDBOOK
It is recommended that all entries be made with indelible ink. Under some circumstances use of
pencil in the field may be unavoidable. When this is necessary, verified copies should be prepared as
soon as practicable. Any entries in pencil or in different colours should be appropriately identified on the
verified copies. In addition, study records should clearly state the reason for using pencil.
GLP HANDBOOK annex vi The application of the GLP
principles to field studies
The report(s) of the Principal Investigator(s) can be attached to the overall study report by the Study
Director as appendices as described in paragraph g in the note under Principal Investigators
Responsibilities, above.
GLP HANDBOOK annex vi The application of the GLP
principles to field studies
One potential problem area associated with remote test sites is the temporary storage of materials
from ongoing studies until they can be transferred to archives at the end of the study. Temporary storage
facilities at all test sites should be adequate to ensure the integrity of the study materials.
GLP HANDBOOK annex vi The application of the GLP
principles to field studies
189
Unclassified
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Organisation for Economic Co-operation and Development Dist.: 15-Sep
-199
Or. En
ENVIRONMENT DIRECTORATE
JOINT MEETING OF THE CHEMICALS COMMITTEE AND THE WORKING PA
ON CHEMICALS
ENV/JM/MONO(99)23
GLP HANDBOOK annex vi The application of the GLP
OECD SERIES ONprinciples
PRINCIPLES toOF GLP ANDstudies
field COMPLIANCE MONITO
Number 7 (Revised)
CONSENSUS DOCUMENT
FOREWORD
The application of the GLP principles to short-term studie
Or. Eng.
In the framework of the third OECD Consensus Workshop on Good Laboratory Practice held 5th to
8th October 1992 in Interlaken, Switzerland, a working group of experts discussed the interpretation of the
GLP Principles as applied to short-term studies. This working group was chaired by Ms Francisca E. Liem
(United States Environmental Protection Agency); the rapporteur was Dr Hans-Wilhelm Hembeck
(German GLP Federal Office). Participants in the Working Group were from both national GLP
compliance monitoring authorities and from testing 191 laboratories in the following
countries: Australia, Austria, Czech Republic, Finland, France, Germany, Ireland, Netherlands, Poland,
Sweden, Switzerland, United Kingdom and United States. Two sub-working groups were formed and
chaired by Ms Liem (short-term biological studies) and Dr Hembeck (physical-chemical studies); the
respective rapporteurs were Mr. David Long (France) and Dr. Stephen Harston (Germany). The document
developed by the working group cites the appropriate OECD Principles of GLP and gives guidance on
their interpretation in relation to short-term studies in a series of notes.
The draft document developed by the Working Group was circulated to Member countries for
comments. The text was revised, based on comments received, and reviewed by the OECD Panel on Good
814449
Laboratory Practice at its fifth meeting in March 1993, which amended the text and forwarded it to the
Joint Meeting of the Chemicals Groupcomplet
Document and Management Committee
disponible sur OLIS dans of son
the format
Specialdorigine
Programme on the
Control of Chemicals. At its Complete
20th Session, the Joint
document Meeting
available onendorsed theoriginal
OLIS in its document with minor editorial
format
changes and recommended that it be derestricted under the authority of the Secretary-General.
In light of the adoption of the Revised OECD Principles of GLP in 1997, this Consensus Document
was reviewed by the Working Group on GLP and revised to make it consistent with modifications made to
the Principles. It was endorsed by the Working Group in April 1999 and subsequently by the Joint
Meeting of the Chemicals Committee and Working Party on Chemicals, Pesticides and Biotechnology in
August 1999. It too is declassified under the authority of the Secretary-General.
annex vii The application of the GLP principles to
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Note by the OECD Working Group on GLP to the revised Consensus Document on the Application
of the Principles of GLP to Short-Term Studies
(endorsed by the Joint Meeting of the Chemicals Committee and Working Party on Chemicals in
August 1999)
The Principles of GLP are general guidance which were originally drafted primarily to define the
way in which chronic toxicity studies should be planned, conducted and reported. The expansion of the
scope of application of GLP to other study types which may differ significantly from chronic toxicity
studies has made it necessary to interpret the application of the GLP Principles to such special areas.
One such area where the application of the GLP Principles may require further interpretation is that
192 of so-called short-term studies. The revised OECD Principles and this revised Consensus Document
provides further guidance in this area. However, the expression short-term studies encompasses such a
wide variety of study types that it has proven to be impossible to arrive at a meaningful, all-embracing and
clear-cut, but nevertheless concise definition. Consensus could not be reached in OECD on a precise
definition nor even on a comprehensive list of short-term tests.
The revised OECD Principles of GLP could go no further than to define short-term studies as
studies of short duration with widely used, routine methods -a definition which still leaves the
expression short duration open to interpretation. Due to the wide diversity of the studies concerned, it
has not been possible to link the expression short to any definite length of study duration which would
define exactly and comprehensively a short-term study. This is because what might be considered short
in the context of biological studies may not be regarded as short in a physical-chemical study. This
makes it advisable to treat biological studies differently from physical-chemical ones with regard to the
application of the provisions for short-term studies.
For the reasons above the OECD Working Group on GLP found it more useful to consider those
characteristics of the conduct of a study which may qualify it to be classified as a short term study.
These include the duration of critical phases, the frequency with which such studies are conducted and the
complexity of the test system as well as the routine of the personnel involved, which will increase with
growing frequency of study conduct. It is recognised that common sense must be exercised in defining
what is considered to be a short term study as discussed above.
CONTENTS
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BACKGROUND . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 194
Background
The OECD Principles of GLP are general and not specific to any particular type of test or testing
discipline. The initial experience in OECD Member countries in compliance monitoring has been
194
primarily in long-term toxicity studies. Although subject to the OECD Principles of GLP, short-term
studies present special concerns to management and compliance monitoring authorities based upon the
existence of particular procedures and techniques.
The Revised Principles of GLP define a short-term study as a study of short duration with widely
used, routine techniques [I.2.3.2]. Short-term biological studies include acute toxicity studies, some
mutagenicity studies, and acute ecotoxicological studies.
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Physical-chemical studies are those studies, tests or measurements which are of a short duration
(typically not more than one working week), employ widely-used techniques (e.g. OECD Test Guidelines)
and yield easily repeatable results, often expressed by simple numerical values or verbal expressions.
Typical physical-chemical studies include but are not limited to chemical characterisation studies,
melting point, vapour pressure, partition coefficient, explosive properties and other similar studies for
which test guidelines exist. However, the regulatory agencies/receiving authorities in Member countries
will specify which of these tests should be submitted to them and which should be conducted under the
Principles of GLP.
NOTES TO THE GLP PRINCIPLES
The following paragraphs of the Revised OECD Principles of GLP need interpretation for their
application to short-term studies. Paragraphs of the Revised OECD Principles which do not require
interpretation are not repeated here. Notes are given for further guidance and interpretation.
II.1.2.g)(Test facility management should) ensure that for each study an individual with the appropriate
qualifications, training, and experience is designated 195 by the management as the Study
Director before the study is initiated....
[NOTE]: The designation of the Study Director is a key decision in assuring that the study will be
properly planned, conducted and reported. The appropriate Study Director qualifications may be
based more on experience than on advanced education.
II.2.1. General
II.2.1.1. The test facility should have a documented Quality Assurance Programme to assure that studies
performed are in compliance with these Principles of Good Laboratory Practice.
[NOTE 1]: All references to quality assurance programme in this document should be interpreted
with reference to the OECD Principles of GLP and the OECD Consensus Document on Quality
Assurance and GLP** . In respect of physical-chemical studies it is recognised that other published
standards (e.g. ISO 9000 series) use the term quality assurance in a different way.
[NOTE 2]: The documentation of the quality assurance programme should include a description of
the use made of study-based, facility-based or process-based inspections as defined in the
OECD Consensus Document No. 4 Quality Assurance and GLP. These definitions are reproduced
below:
GLP HANDBOOK annex vii The application of the GLP principles
to short term studies
Study-based inspections: These are scheduled according to the chronology of a given study,
usually by first identifying the critical phases of the study.
Facility-based inspections: These are not based upon specific studies, but cover the general
facilities and activities within a laboratory (installations, support services, computer system,
training, environmental monitoring, maintenance, calibration, etc.).
* OECD Series on Principles of Good Laboratory Practice and Compliance No.4, Quality Assurance and GLP, Paris, 1992 (
as revised in 1999).
Process-based inspections: Again these are performed independently of specific studies. They are
conducted to monitor procedures or processes of a repetitive nature and are generally performed on
a random basis. These inspections take place when a process is undertaken very frequently within a
laboratory and it is therefore considered inefficient or impractical to undertake study-based
inspections. It is recognised that performance of process-based inspections covering phases which
occur with a very high frequency may result in some studies not being inspected on an individual
basis during their experimental phases.
II.2.2.1. The responsibilities of the Quality Assurance personnel include, but are not limited to, the
196 following functions. They should:
a) maintain copies of all approved study plans and Standard Operating Procedures in use in the test facility
and have access to an up-to-date copy of the master schedule;
b) verify that the study plan contains the information required for compliance with these Principles of Good
Laboratory Practice. This verification should be documented;
c) conduct inspections to determine if all studies are conducted in accordance with these Principles of Good
Laboratory Practice. Inspections should also determine that study plans and Standard Operating
Procedures have been made available to study personnel and are being followed.
[NOTE]: Because of the high frequency and routine nature of some standard short-term studies, it is
recognised in the OECD Consensus Document on Quality Assurance and GLP that each study need
not be inspected individually by Quality Assurance during the experimental phase of the study. In
these circumstances, a process-based inspection programme may cover each study type. The
frequency of such inspections should be specified in approved Quality Assurance Standard
Operating Procedures, taking into account the numbers, frequency and/or complexity of the studies
being conducted in the facility. The frequency of inspections should be specified in the relevant QA
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Standard Operating Procedures, and there should be SOPs to ensure that all such processes are
inspected on regular basis.
d) prepare and sign a statement, to be included with the final report, which specifies types of inspections and
their dates, including the phase(s) of the study inspected, and the dates inspection results were reported to
management and the Study Director and Principal Investigator(s), if applicable. This statement would also
serve to confirm that the final report reflects the raw data.
[NOTE]: Where individual study-based inspections did not take place, the QA-statement must
clearly describe which types of inspections (e.g. process-based) were performed and when. The
QAstatement must indicate that the final report was audited.
II.3. FACILITIES
II.3.1. General
II.3.1.1. The test facility should be of suitable size, construction and location to meet the requirements of
the study and to minimise disturbances that would interfere with the validity of the study.
II.3.1.2. The design of the test facility should provide an adequate degree of separation of the different
activities to assure the proper conduct of each study.
[NOTE]: The issue of concern, primarily for biological in vitro studies is the possibility of
contamination of the test system. Laboratories should establish facilities and procedures
197
which demonstrably prevent and/or control such potential contamination.
II.4.2. Apparatus used in a study should be periodically inspected, cleaned, maintained, and calibrated
according to Standard Operating Procedures. Records of these activities should be maintained.
Calibration should, where appropriate, be traceable to national or international standards of
measurement.
II.5.1. Physical/Chemical
[NOTE]: There is overlap between the requirements for Physical/chemical test systems in section
II.5.1.1 of the Revised OECD GLP Principles and those for apparatus in section II.4.1. This
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to short term studies
overlap seems to have no practical implications for studies of this type. Apparatus used in a
physical/ chemical test system should be periodically inspected, cleaned, maintained, and calibrated
according to SOPs, as specified above (Section II.4 of the Revised GLP Principles).
II.5.2. Biological
II.5.2.1. Proper conditions should be established and maintained for the storage, housing, handling and
care of biological test systems, in order to ensure the quality of the data.
II.5.2.2. Newly received animal and plant test systems should be isolated until their health status has been
evaluated. If any unusual mortality or morbidity occurs, this lot should not be used in studies and,
when appropriate, should be humanely destroyed. At the experimental starting date of a study,
test systems should be free of any disease or condition that might interfere with the purpose or
conduct of the study. Test systems that become diseased or injured during the course of a study
should be isolated and treated, if necessary to maintain the integrity of the study. Any diagnosis
and treatment of any disease before or during a study should be recorded.
II.5.2.3. Records of source, date of arrival, and arrival condition of test systems should be maintained.
II.5.2.4. Biological test systems should be acclimatised to the test environment for an adequate period
before the first administration/application of the test or reference item.
198 II.5.2.5. All information needed to properly identify the test systems should appear on their housing or
containers. Individual test systems that are to be removed from their housing or containers during
the conduct of the study should bear appropriate identification, wherever possible.
II.5.2.6. During use, housing or containers for test systems should be cleaned and sanitised at appropriate
intervals. Any material that comes into contact with the test system should be free of
contaminants at levels that would interfere with the study. Bedding for animals should be
changed as required by sound husbandry practice. Use of pest control agents should be
documented.
[NOTE 1]: Test system information: Record keeping is required to document the growth, vitality
and absence of contamination of batches of in vitro test systems. It is important that the origin,
substrain and maintenance of the test system be identified and recorded for in vitro studies.
[NOTE 2]: Characterisation of the test system, primarily for in vitro studies: It is essential that there
is assurance that the test system as described in the study plan is being used, and is free of
contamination. This can be accomplished, for example, by periodically testing for genetic markers,
karyotypes, or testing for mycoplasma.
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[NOTE 3]: Isolation of test systems: In the case of short-term biological studies, isolation of animal
and plant test systems may not be required. The test facility SOPs should define the system for
health status evaluation (e.g. historical colony and supplier information, observations, serological
evaluation) and subsequent actions.
[NOTE 4]: Control of interfering materials in in vitro studies: There should be assurance that water,
glassware and other laboratory equipment are free of substances which could interfere with the
conduct of the test. Control groups should be included in the study plan to meet this objective.
Periodic systems tests may also be performed to complement this goal.
[NOTE 5]: Characterisation of culture media: The types of media, ingredients and lot numbers of
the media (e.g. antibiotics, serum, etc.) should be documented. Standard Operating Procedures
should address the preparation and acceptance of such media.
[NOTE 6]: Test system use: Under certain circumstances, some Member countries will accept the
reuse of an animal or the simultaneous testing of multiple test items on one animal. The GLP issue
of concern is that in all cases, complete historical documentation on the former use of the animal
must be maintained and be referenced in the final report. It must also be documented that these
practices do not interfere with the evaluation of the test item(s).
II.6.2. Characterisation
II.6.2.1. Each test and reference item should be appropriately identified (e.g., code, Chemical Abstracts
Service Registry Number [CAS number], name, biological parameters).
II.6.2.2. For each study, the identity, including batch number, 199 purity, composition, concentrations,
or other characteristics to appropriately define each batch of the test or reference items should be
known.
II.6.2.3. In cases where the test item is supplied by the sponsor, there should be a mechanism, developed
in co-operation between the sponsor and the test facility, to verify the identity of the test item
subject to the study.
II.6.2.4. The stability of test and reference items under storage and test conditions should be known for all
studies.
II.6.2.5. If the test item is administered or applied in a vehicle, the homogeneity, concentration and
stability of the test item in that vehicle should be determined. For test items used in field studies
(e.g., tank mixes), these may be determined through separate laboratory experiments.
II.6.2.6. A sample for analytical purposes from each batch of test item should be retained for all studies
except short-term studies.
GLP HANDBOOK annex vii The application of the GLP principles
to short term studies
[NOTE 1]: Adequate characterisation information should be available for each batch of the test and
reference items. To promote acceptability in all Member countries, it is recommended that this
information is generated in compliance with the Revised Principles of GLP when needed. Where the
test item is in an early stage of development it is acceptable for the analytical characterisation to be
performed after the conduct of the biological study. However, there should be some information on
the chemical structure of the test item before the study initiation date.
[NOTE 2]: To promote acceptability in all Member countries, it is recommended that the stability of
the test and reference items under conditions of storage should be determined in compliance with
Principles of GLP when needed.
[NOTE 3]: There are considerable differences between the requirements of Member countries
concerning the evaluation of the concentration, stability and homogeneity of the test item in a
vehicle. In addition, for certain short-term biological tests, it is not always possible to conduct such
analyses concomitantly. For certain of these tests, if the time interval between preparation and
application of a usually stable substance is only a few minutes, it might not be relevant to determine
the stability of the test item. For these reasons it is essential that analytical requirements are
specified and approved in the study plan and clearly addressed in the final report.
[NOTE 4]: The data related to points II.6.2.4 and II.6.2.5 under Characterisation of test and
reference items in the GLP Principles (above) may not be known in the case of physical-chemical
studies being conducted to determine such data.
[NOTE]: The illustrative examples given in the section II.7.4.4. of the Revised Principles of GLP
(test system) refer mainly to biological test systems and may thus not be relevant in the context of
physical-chemical studies. It is the responsibility of test facility management to ensure that
appropriate Standard Operating Procedures are produced for the studies performed in the facilities.
200
II.8. PERFORMANCE OF THE STuDy
II.8.1.1. For each study, a written plan should exist prior to the initiation of the study. The study plan
should be approved by dated signature of the Study Director and verified for GLP compliance by
Quality Assurance personnel as specified in Section II.2.2.1.b, above. The study plan should also
be approved by the test facility management and the sponsor, if required by national regulation or
legislation in the country where the study is being performed.
II.8.1.2. For short-term studies, a general study plan accompanied by a study specific supplement may be
used.
[NOTE]: Where a particular short-term study or a series of such studies is performed frequently
within a laboratory, it may be appropriate to prepare a single general study plan containing the
annex vii The application of the GLP principles to
short term studies GLP HANDBOOK
majority of general information required in such a plan and approved in advance by the testing
facility management and by the Study Director(s) responsible for the conduct of such studies and by
QA.
Study-specific supplements to such plans (e.g. with details on test item, experimental starting date)
should then be issued as a supplementary document requiring only the dated signature of the
designated Study Director. The combined document the general study plan and the study-specific
supplement is the study plan. It is important that such supplements are provided promptly to test
facility management and to QA assurance personnel.
[NOTE]: The contents of the complete study plan (that is, of the general study plan and the
studyspecific supplement) should be as described in the Revised OECD Principles of GLP, with the
possible exceptions noted below.
The study plan should contain, but not be limited to the following information:
II.8.2.1. Identification of the Study, the Test Item and Reference Item
a) A descriptive title;
[NOTE]: This may not be needed if this information is provided by the descriptive title.
c) Identification of the test item by code or name (IUPAC; CAS number, biological parameters etc);
b) Characterisation of the test system, such as the species, strain, substrain, source of supply, number, body
weight range, sex, age, and other pertinent information;
e) Detailed information on the experimental design, including a description of the chronological procedure of
the study, all methods, materials and conditions, type and frequency of analysis, measurements,
observations and examinations to be performed, and statistical methods to be used (if any).
GLP HANDBOOK annex vii The application of the GLP principles
to short term studies
[NOTE]: This may generally be given in a brief, summary form, or with reference to appropriate
SOPs or Test Guidelines.
II.9.1. General
II.9.1.1. A final report should be prepared for each study. In the case of short term studies, a standardised
final report accompanied by a study specific extension may be prepared.
[NOTE]: Where short-term studies are performed using general study plans, it may also be
appropriate to issue standardised final reports containing the majority of general information
required in such reports and authorised in advance by the testing facility management, and by the
Study Director(s) responsible for the conduct of such studies. Study-specific extensions to such
reports (e.g. with details of the test item and the numerical results obtained) may then be issued as a
supplementary document requiring only the dated signature of the Study Director. It is not
acceptable to utilise a standardised final report when the study plan is revised or amended prior
to or during the conduct of the study unless the standardised final report is amended
correspondingly.
[NOTE]: The contents of the complete final report (that is, of the standardised final report and
202
the study-specific supplement) should be as described in the Revised OECD Principles of GLP, with
the possible exceptions noted below:
The final report should include, but not be limited to, the following information:
a) A descriptive title;
b) Identification of the test item by code or name (IUPAC; CAS number, biological parameters,
etc.);
c) Identification of the reference item by chemical name; d) Characterisation of the test item including purity,
stability and homogeneity.
[NOTE]: This may not be relevant when the study is carried out to determine such data.
II.9.2.4. Statement
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A Quality Assurance Programme statement listing the types of inspections made and their dates,
including the phase(s) inspected, and the dates any inspection results were reported to
management and to the Study Director and Principal Investigator(s), if applicable. This statement
would also serve to confirm that the final report reflects the raw data.
[NOTE]: This may need to reflect the use of process-based inspection. The QA Statement must
clearly indicate that the final report was audited. (See also the note under Responsibilities of the
Quality Assurance Personnel, II.2.2.1.f), above.)
GLP HANDBOOK annex vii The application of the GLP principles
to short term studies
[NOTE]: This may need to reflect the use of process-based inspection. The QA Statement must
clearly indicate that the final report was audited. (See also the note under Responsibilities of the
Quality Assurance Personnel, II.2.2.1.f), above.)
Unclassified
203
Unclassified ENV/JM/MONO(9
Organisation de Coopration et de Dveloppement Economiques OLIS 14-
: Sep-199
Organisation for Economic Co-operation and Development Dist.: 15-Sep
-199
Or. En
ENVIRONMENT DIRECTORATE
JOINT MEETING OF THE CHEMICALS COMMITTEE AND THE WORKING PA
ON CHEMICALS
ENV/JM/MONO(99)24
GLP HANDBOOK annex vii The application of the GLP principles
OECD SERIES ON PRINCIPLES
to OF GLP
short ANDstudies
term COMPLIANCE MONITO
Number 8 (Revised)
FOREWORD
CONSENSUS DOCUMENT
Or. Eng.
The role and responsibilities of the Study Director in GLP
In the framework of the third OECD Consensus Workshop on Good Laboratory Practice held 5th to
8th October 1992 in Interlaken, Switzerland, a working group of experts discussed the interpretation of
the GLP Principles as applied to the role and responsibilities of the Study Director. This working group
was chaired by Dr. David F. Moore of the United Kingdom GLP Compliance Monitoring Authority; the
Rapporteur was Dr. Heinz Reust (Swiss Federal Office of Public Health). Participants in the Working
Group were from both national GLP compliance monitoring authorities and from testing laboratories in
the following countries: Austria, Canada, Federation of Russia, Finland, Germany, Japan, Netherlands,
Switzerland, United Kingdom and United States.
The draft document developed by the working group 205 was circulated to Member countries
for comments. The text was revised, based on comments received, and reviewed by the
OECD Panel on Good Laboratory Practice at its fifth meeting in March 1993, which amended the text and
forwarded it to the Joint Meeting of the Chemicals Group and Management Committee of the Special
Programme on the Control of Chemicals. At its 20th Session, the Joint Meeting endorsed the document
with minor editorial changes and recommended that it be derestricted under the authority of the Secretary-
General.
814453
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was reviewed by the WorkingDocument
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Meeting of the Chemicals Committee and Working Party on Chemicals, Pesticides and Biotechnology in
August 1999. It too is declassified under the authority of the Secretary-General.
annex viii The role and responsabilities of the study director in
GLP studies GLP HANDBOOK
CONTENTS
Archives. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 210
Sub-contracting. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 210
The Study Director represents the single point of study control with ultimate responsibility for the
overall scientific conduct of the study. This is the prime role 207 of the Study Director, and all duties
and responsibilities as outlined in the GLP Principles stem from it. Experience has shown that
unless responsibility for the proper conduct of a study is assigned to one person, there is a potential for
personnel to receive conflicting instructions, which can result in poor implementation of the study plan.
There can be only one Study Director for a study at any given time. Although some of the duties of the
Study Director can be delegated, as in the case of a subcontracted study, the ultimate responsibility of the
Study Director as the single central point of control cannot.
In this regard, the Study Director serves to assure that the scientific, administrative and regulatory
aspects of the study are controlled. The Study Director accomplishes this by coordinating the inputs of
management, scientific/technical staff and the Quality Assurance programme.
In multi-site studies which involve work at more than one test site and the Study Director cannot
exercise immediate supervision, study procedures may be controlled by an appropriately trained, qualified
and experienced member of the staff, called the Principal Investigator. He is responsible for the conduct of
certain defined phases of the study in accordance with the applicable Principles of Good Laboratory
Practice, acting on behalf of the Study Director.
Scientifically, the Study Director is usually the scientist responsible for study plan design and
approval, as well as overseeing data collection, analysis and reporting. The Study Director is responsible
for drawing the final overall conclusions from the study. As the lead scientist, the Study Director must
coordinate with other study scientists, and/or Principal Investigator(s) keeping informed of their findings
during the study and receiving and evaluating their respective individual reports for inclusion in the final
study report.
Administratively, the Study Director must request and coordinate resources provided by
management, such as personnel, equipment and facilities, to ensure they are adequate and available as
scheduled for the proper conduct of the study.
Compliance with regulations is also the responsibility of the Study Director. In this role the Study
Director is responsible for ensuring that the study is carried out in accordance with the Principles of GLP,
which require the Study Directors signature on the final study report to confirm compliance with the GLP
Principles.
Management Responsibilities
Management of a testing facility is responsible for ensuring that the facility operates in compliance
with GLP Principles. This responsibility includes the appointment and effective organisation of an
annex viii The role and responsabilities of the study director in
GLP studies GLP HANDBOOK
adequate number of appropriately qualified and experienced staff throughout the facility, including Study
Directors, and, in the event of multi-site studies, Principal Investigator(s), if needed.
Management should maintain a policy document defining the procedures adopted for selection and
208
appointment of Study Directors, their deputies, and Principal Investigator(s) if required by national
programmes.
When appointing a Study Director to a study, management should be aware of that persons current or
anticipated workloads. The master schedule, which includes information on the type and timing of studies
allocated to each Study Director, can be used to assess the volume of work being performed by individuals
within the testing facility and is a useful management tool when allocating studies.
Management should ensure that there is documentation of training in all aspects of the Study
Directors work. A training programme should ensure that Study Directors have a thorough understanding
of GLP Principles and an appropriate knowledge of testing facility procedures. This may include an
awareness and working knowledge of other guidelines and regulations pertinent to the testing facility and
the particular study type, for example, the OECD Test Guidelines. Training may include work experience
under the supervision of competent staff. Observation periods or work experience within each discipline
involved in a study can provide a useful basic understanding of relevant practical aspects and scientific
principles, and assist in the formation of communication links. Attendance at in-house and external
seminars and courses, membership in professional societies and access to appropriate literature may allow
Study Directors to maintain current awareness of developments within their scientific field. Professional
development should be continuous and subject to periodic review. All training should be documented and
records should be retained for the period specified by the appropriate authorities.
Documented records of such a programme should reflect the progression of training and provide a
clear indication of the type of study that an individual is considered competent to direct. Further training
or retraining may be necessary from time to time, for example, following the introduction of new
technology, procedures or regulatory requirements.
Responsibilities of the Study Director
The Study Director is the individual who has overall responsibility for the scientific conduct of a
study and can confirm the compliance of the study with the OECD Principles of Good Laboratory
Practice.
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study director in GLP studies
Study Initiation
The Study Director has to approve the study plan which is prepared before study initiation by dated
signature. This document should clearly define the objectives and the whole conduct of the study and how
they are to be achieved. Any amendments to the study plan have to be approved as mentioned above. For
a multi-site study the study plan should identify and define the role of any Principal Investigator(s) and
any test facilities and test sites involved in the conduct of the study.
209
The Study Director should take responsibility for the study by dated signature of the study
plan, at which stage the study plan becomes the official working document for that study (study initiation
date). If appropriate, the Study Director should also ensure that the study plan has been signed by the
sponsor and the management, if required by national programmes.
Before the study initiation date the Study Director should make the study plan available to Quality
Assurance (QA) staff for verifying that it contains all information required for compliance with the GLP
Principles.
Before the experimental starting date of the study, the Study Director should assure that copies of the
study plan are supplied to all personnel involved in the study; this should include Quality Assurance (QA)
staff.
Before any work on the study is undertaken, the Study Director should ascertain that management
have committed adequate resources to perform the study, and that adequate test materials and test systems
are available.
Study Conduct
The Study Director has responsibility for the overall conduct of the study and should ensure that the
procedures laid down in the study plan including amendments are followed and all data generated during
the study are fully documented. Specific technical responsibilities may be delegated to competent staff,
and need to be documented.
The Study Directors involvement during the course of the study should include overviewing the
study procedures and data to ensure that the procedures laid down in the study plan are being followed
and that there is compliance with the relevant Standard Operating Procedures, and should include
computergenerated data. In order to demonstrate this, the type and frequency of the reviews should be
documented in the study records.
As all decisions that may affect the integrity of the study should ultimately be approved by the Study
Director, it is important that he remains aware of the progress of the study. This is of particular
importance following temporary absence from the study and can only be achieved by maintaining
effective communication with all the scientific, technical and administrative personnel involved, and for a
multi-site study with Principal Investigator(s). Of necessity, lines of communication should ensure that
deviations from the study plan can be rapidly transmitted and that issues arising are documented.
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If data are recorded on paper, the Study Director should ensure that the data generated are fully and
accurately documented and that they have been generated in compliance with GLP Principles. For data
recorded electronically onto a computerised system, the Study Directors responsibilities are the same as
for paper systems. In addition, the Study Director should also ensure that computerised systems are
suitable for their intended purpose, have been validated, and are fit for use in the study.
The final report of a study should be produced as a detailed scientific document outlining the purpose
of the study, describing the methods and materials used, summarising and analysing data generated, and
stating the conclusions drawn.
If the Study Director is satisfied that the report is a complete, true and accurate representation of the
study and its results, then and only then, should the Study Director sign and date the final report to
indicate acceptance of responsibility for the validity of the data. The extent of compliance with the GLP
Principles should be indicated. He should also assure himself that there is a QA statement and that any
deviations from the study plan have been noted.
Archives
On completion (including termination) of a study the Study Director is responsible for ensuring that
the study plan, final report, raw data and related material are archived in a timely manner. The final report
should include a statement indicating where all the samples of test and reference items, specimens, raw
data, study plan, final report and other related documentation are to be stored. Once data are transferred
to the archives, the responsibility for it lies with management.
Sub-contracting
Where parts of any study are contracted out, the Study Director (and QA staff) should have
knowledge of the GLP compliance status of that facility. If a contract facility is not GLP compliant, the
Study Director must indicate this in the final report.
Study Plan Amendments and Deviations
A study plan amendment should be issued to document an intended change in study design after the
study initiation date and before the event occurs. An amendment may also be issued as a result of
unexpected occurrences during the study that will require significant action. Amendments should indicate
the reason for the change and be sequentially numbered, dated, signed and distributed to all recipients of
the original study plan by the Study Director.
Study Deviations
GLP HANDBOOK annex viii The role and responsabilities of the
study director in GLP studies
Qualifications for a Study Director will be dictated by the requirements of each individual study.
Setting the criteria is the responsibility of the management. Furthermore, management has the
responsibility for selection, monitoring and support of the Study Director to ensure that studies are carried
out in compliance with the GLP Principles. Any minimal qualifications established by management for
the position of Study Director should be documented in the appropriate personnel records. In addition to a
strong technical background, the coordinating role of the Study Director requires an individual with
strengths in communication and problem solving and managerial skills.
The Study Director has the overall responsibility for the conduct of a study. The term responsibility
for the overall conduct of the study and for its final report may be interpreted in a broad sense for those
studies where the Study Director may be geographically remote from parts of the actual experimental
work. With multiple levels of management, study personnel and QA staff, it is critical that there are clear
lines of authority and communication, and assigned responsibilities, so that the Study Director can
effectively carry out his GLP responsibilities. This should be documented in writing. Test facility
management should ensure that for multi-site studies clear lines of communication exist between the
Study Director, Principal Investigator(s), the Quality Assurance Programme(s) and the study personnel.
For studies that have delegated responsibilities to a Principal Investigator(s), the Study Director will
rely on that individual to assure that relevant phase(s) of the study are conducted in accordance with the
study plan, relevant SOPs and with GLP Principles. The Principal Investigator should contact the Study
Director when event(s) occur that may affect the objectives defined in the study plan. All communications
should be documented.
Communication between the Study Director and QA is required at all stages of the study.
an active involvement with QA, for example, review of study plans in a timely manner, involvement in
the review of new and revised Standard Operating Procedures, attendance of QA personnel at study
initiation meetings and in resolving potential problems related to GLP.
responding to inspection and audit reports promptly, indicating corrective action and, if necessary, liaising
with QA staff and scientific and technical personnel to facilitate responses to inspection/ audit findings.
The Study Director has the responsibility for the overall conduct of a study according to the GLP
Principles and he has to ascertain that in every phase of a study these principles are fully complied with,
that the study plan is followed faithfully and that all observations are fully documented. Theoretically,
this responsibility can only be fulfilled if the Study Director is present all the time during the whole study.
This is not always feasible in practice and there will be periods of absence which might make replacement
necessary. While the circumstances under which a Study Director would be replaced are not defined in the
GLP Principles, they should be addressed to the degree feasible by the facilitys SOPs. These SOPs
should also address the procedures and documentation necessary to replace a Study Director.
The decision for replacement or temporary delegation is the responsibility of management. All such
decisions should be documented in writing. There are two circumstances where replacement might be
considered, both of which are of importance only in longer-term studies, since the continuing presence of
a Study Director during a short study may be assumed. In the event of termination of employment of a
Study Director, the need for replacing this key person is obvious. In this case, one of the responsibilities
of the replacement Study Director is, with the assistance of Quality Assurance personnel, to assure himself
as soon as practicable of the GLP compliance in the study as conducted to date. The replacement of a
Study Director and the reasons for it must be documented and authorised by management. It is also
recommended that the results of any interim GLP review should be documented in case deficiencies or
deviations have been found.
The second circumstance is when a Study Director is temporarily absent because of holidays,
scientific meeting, illness or accident. An absence of short duration might not necessitate the formal
replacement of the Study Director if it is possible to communicate with him if problems or emergencies
arise. If critical study phases are expected to fall into the period of absence, they may either be moved to a
more suitable time (with study plan amendment, if necessary), or a replacement of the Study Director may
be considered, either by formally nominating a replacement Study Director or by temporary delegation of
responsibilities to competent staff for this specific phase of the study. Should the unavailability of the
Study Director be of longer duration, a replacement should be named rather than delegation to competent
staff.
The returning Study Director must ascertain as soon as practicable whether or not deviations from
GLP Principles have occurred, irrespective of whether or not he was formally replaced during his absence.
213
GLP HANDBOOK annex viii The role and responsabilities of the
study director in GLP studies
Deviations from GLP Principles during his absence should be documented by the returning Study
Director.
The Study Director, by virtue of his signature in the final report confirming compliance with the GLP
Principles, assumes responsibility for the performance of the study in compliance with GLP Principles and
for the accurate representation of the raw data in the final report. However, the legal liability of the Study
Director is established by national legislation and legal processes, and not by the OECD Principles of
GLP.
Guidance for GLP Monitoring Authorities: Guidance for the Preparation of GLP Inspection Reports
Applications for permission to reproduce or translate all or part of this material should be made to: Head of Publications Service, OECD, 2 rue Andr-Pascal, 75775
Paris Cedex 16, France.
FOREWORD
215
Under the auspices of the OECD Panel on Good Laboratory Practice, a working group met in Rockville, Maryland, from 21st
through 23rd September 1994, to develop harmonised guidance for the preparation of GLP inspection reports. The working group
was chaired by Mr. Paul Lepore of the United States Food and Drug Administration. Participants were from national GLP
compliance monitoring authorities in the following countries: Canada, France, Germany, Norway, Sweden, Switzerland and the
USA. The working group reached consensus on a draft document aimed at providing guidance for GLP monitoring authorities on the
information on specific test facility inspections to be exchanged with their colleagues in other GLP monitoring authorities.
The Panel on GLP reviewed and amended the draft 217 document prepared by the working group and subsequently
forwarded the document to the Joint Meeting of the Chemicals Group and Management Committee of the Special
Programme on the Control of Chemicals, which, in turn, slightly amended the draft and recommended that it be considered by the
Environment Policy Committee. The Environment Policy Committee subsequently recommended that this document be derestricted
under the authority of the Secretary-General.
GLP HANDBOOK annex iX Guidance for the preparation of GLP inspection
reports
One of the goals of the work of the OECD Panel on Good Laboratory Practice is to facilitate the sharing of information
from GLP compliance monitoring programmes conducted by Member countries. This goal requires more than the promulgation
of enforceable principles of GLP and the conduct of an inspection programme by the national monitoring authority. It is also
necessary to have the reports of the inspections prepared in a useful and consistent manner. The Guidance for the Preparation of
GLP Inspection Reports developed by the Panel on GLP set forth below suggests elements and/or concepts that can contribute to
a useful report of a GLP inspection and study audit. It may be used by Member countries as a component of their compliance
monitoring programme.
Report Headings
218 There are many acceptable ways to organise an inspection report, but the key is to make sure that it contains the required
information and meets the requirements of the regulatory authority. Generally, report headings include a Summary, an
Introduction, a Narrative, a Summary of the Exit Discussion, and Annexes. All of the information presented under these headings
should portray an accurate picture of the adherence of the testing facility to the Principles of GLP and the quality of any study report
that may have been audited.
2. Introduction
The5)114
OCDE/GD(9 introductory section should include some or all of the following elements:
2.1 The purpose and general description of the inspection, including the legal authority of the inspectors and the
quality standards serving as the basis for the inspection.
OECD SERIES ON PRINCIPLES OF GOOD LABORATORY PRACTICE
2.2 An identification of the inspectorsMONITORING
AND COMPLIANCE and the dates of inspection.
Number 9
2.3 A description of the type of inspection (facility, study audit, etc.)
2.4 An identification of the test facility, including corporate identity, postal address, and contact person(s) [with
GUIDANCE
telephone and FOR GLP MONITORING AUTHORITIES
telefax number(s)]
2.5 A description of the test facility identifying the categories of test substances and testing that is done and
presenting information on the physical layout and the personnel.
annex iX Guidance for the preparation of GLP inspection reports GLP
HANDBOOK
2.6 The date of the previous GLP inspection, resulting GLP compliance status, and any relevant changes made by
the test facility since that inspection.
XXXXX
3. Narrative
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Complete document available on OLIS in its original format
The Narrative portion of the report should contain a complete and factual description of the observations made and activities
undertaken during the course of the inspection. Generally, the information recorded in this section should be reflected under the
headings in the GLP Principles, as listed below:
Deviations from the GLP Principles should be supported by documentation (i.e., photocopies, photographs, test samples,
etc.). All such documentation should be referenced and discussed in the Narrative and attached in the Annexes.
When a study has been selected for audit, the inspection report should describe the procedure for conducting the audit,
including a description of the portion of the data or study that was actually examined. Any findings during the audit
should be described in the Narrative and documented in the Annexes.
4. Exit Discussion
At the end of an inspection/study audit, an Exit Conference should be held between the inspection team and the
responsible management of the test facility, at which GLP deviations found during the inspection/study audit may be
discussed. During this Exit Conference, if allowed by national policy, a written list of observations should be presented
describing the GLP deviations if any have been observed. The exit discussion should be summarized in this section.
The report should note the date and time of the Exit Conference; the names of attendees (inspection team, facility and
others), with their affiliations. It should also give a brief summary of GLP deviations noted by the inspection team
during the facility inspection and/or study audits. Responses of facility representatives to the inspection teams remarks
should also be described.
In the case where a written list of observations has been made available, the test facility should
GLP HANDBOOK annex iX Guidance for the preparation of GLP inspection
reports
acknowledge the inspectors findings and make a commitment to take corrective action. If a receipt of documents taken
by the inspection team was prepared and signed by facility management, the person to whom the receipt for documents
was provided should be identified. A copy of the receipt should be included in the Annexes.
5. Annexes
The Annexes should contain copies of documents that have been referenced in the report. Such documents may include:
Other Information
In addition to the information described above, reports may contain other headings and information as appropriate or as required by a
Member countrys compliance monitoring programme. For example, the inspection report may address correction of deficiencies
noted during previous inspections or any corrective action taken during the current inspection. Others may include a cover page
which contains descriptive information that briefly identifies the inspection. Others find it useful to use a table of contents, especially
when the inspection is of a large, complex facility to categorize, index, and identify information in the report. Some reports include a
conclusion section which notifies the testing facility of the compliance status classification as judged by the inspection. Any, or all
of these, are acceptable.
Approval
Reports should be signed and dated by the lead inspector and by other inspectors in accordance with their responsibilities.
The Application of the Principles of GLP to Computerised Systems
221
Applications for permission to reproduce or translate all or part of this material should be made to: Head of Publications Service,
OECD, 2 rue Andr-Pascal, 75775 Paris Cedex 16, France.
FOREWORD
Within the framework of the third OECD Consensus Workshop on Good Laboratory Practice held 5th to 8th October 1992, in
Interlaken, Switzerland, a working group of experts discussed the interpretation of the GLP Principles as applied to computerised
systems. The working group was chaired by Dr. Theo Helder of the Dutch GLP Compliance Monitoring Authority. The Rapporteur
was Mr. Bryan Doherty (Chairman of the Computing Committee of the British Association for Research Quality Assurance).
Participants in the Working Group were from both national GLP compliance monitoring authorities and from testing laboratories in
the following countries: Austria, Belgium, Denmark, Finland, 223 France, Germany, Japan, the Netherlands, Switzerland, United
Kingdom, United States. That Working Group was unable to reach consensus on a detailed guidance document in the time available
to it. It did, however, develop a document entitled Concepts relating to Computerised Systems in a GLP Environment, which set
out the general principles and described the issues involved for each. That document was circulated to comments to Member
countries.
In light of the comments received, the Panel on Good Laboratory Practice at its fifth meeting in March 1993 agreed that further
work needed to be done and called for a second working group meeting to be held. Under the chairmanship of Dr. Helder, and with
Mr. Doherty as rapporteur, that group met in Paris from 14th to 16th December 1994. Participants representing government and
industry from Canada, Denmark, France, Germany, Japan, the Netherlands, Sweden, the United Kingdom and the United States took
part.
The draft Consensus Document developed by the working group was based on the document emanating from the Interlaken
workshop, comments from Member countries thereto and a document developed by a United Kingdom joint government-industry
working party. It was subsequently reviewed, modified and endorsed by the Panel and the Joint Meeting of the Chemicals Group and
Management Committee of the Special Programme on the Control of Chemicals. The Environment Policy Committee thus
recommended that this document be derestricted under the authority of the Secretary-General.
GLP HANDBOOK annex X The application of the principles of GLP
to computerised systems
Throughout recent years there has been an increase in the use of computerised systems by test facilities
undertaking health and environmental safety testing. These computerised systems may be involved with the direct or
indirect capture of data, processing, reporting and storage of data, and increasingly as an integral part of automated
equipment. Where these computerised systems are associated with the conduct of studies intended for regulatory
purposes, it is essential that they are developed, validated, operated and maintained in accordance with the OECD
Principles of Good Laboratory Practice (GLP).
224 Scope
All computerised systems used for the generation, measurement or assessment of data intended for regulatory
submission should be developed, validated, operated and maintained in ways which are compliant with the GLP
Principles.
During the planning, conduct and reporting of studies there may be several computerised systems in use for a
variety of purposes. Such purposes might include the direct or indirect capture of data from automated instruments,
operation/control of automated equipment and the processing, reporting and storage of data. For these different
activities, computerised systems can vary from a programmable analytical instrument, or a personal computer to a
laboratory information management system (LIMS) -with multiple functions. Whatever the scale of computer
involvement, the GLP Principles should be applied.
Approach
Computerised systems associated with the conduct of studies destined for regulatory submission should be of
appropriate design, adequate capacity and suitable for their intended purposes. There should be appropriate
procedures to control and maintain these systems, and the systems should be developed, validated and operated in a
way which is in compliance with the GLP Principles.
The demonstration that a computerised system is suitable for its intended purpose is of fundamental importance
and is referred to as computer validation.
The validation process provides a high degree of assurance that a computerised system meets its predetermined
specifications. Validation should be undertaken by means of a formal validation plan and performed prior to
operational use.
The Application of the GLP Principles to Computerised Systems
annex X The application of the principles of GLP to
computerised systems GLP HANDBOOK
The following considerations will assist in the application of the GLP Principles to computerised systems
outlined above :
1. Responsibilities
Management of a test facility has the overall responsibility for compliance with the GLP Principles. This
responsibility includes the appointment and effective organisation of an adequate number of appropriately qualified
and experienced staff, as well as the obligation to ensure that the facilities, equipment and data handling procedures
are of an adequate standard.
Management is responsible for ensuring that computerised 225 systems are suitable for their intended
purposes. It should establish computing policies and procedures to ensure that systems are developed,
validated, operated and maintained in accordance with the GLP Principles. Management shouldOCDE/GD(95)115
also ensure
that these policies and procedures are understood and followed, and ensure that effective monitoring of such
requirements occurs.Organisation de Coopration et de Dveloppement Economiques OLIS : XXXXX
Organisation for Economic Co-operation and Development Dist.: XXXXX
Management should also designate personnel with specific responsibility for the development, validation, operation
and maintenance of computerised systems. Such personnel should be suitably qualified, with relevantOr. Eng.
GENERAL DISTRIBUTION
experience and appropriate training to perform their duties in accordance with the GLP Principles.
Study Directors are responsible under the GLP Principles for the overall conduct of their studies. Since many such
studies will utilise computerised systems, it is essential that Study Directors are fully aware of the involvement of
any computerised systems used in studies under their direction.
OCDE /GD(95)115
The Study Directors responsibility for data recorded electronically is the same as that for data recorded on
paper and thus only systems that have been validated should be used in GLP studies.
Personnel. All personnel using computerised systems have a responsibility for operating these systems in
OECD SERIES ON PRINCIPLES OF GOOD LABORATORY PRACTICE
compliance with the GLP Principles. Personnel who develop, validate, operate and maintain computerised systems
AND
are responsible for performing COMPLIANCE
such MONITORING
activities in accordance with the GLP Principles and recognized technical
standards. Number 10
Quality Assurance (QA) responsibilities for computerised systems must be defined by management and described in
written policies and procedures.
GLPThe quality assurance
CONSENSUS programme should include procedures and practices that will
DOCUMENT
assure that established standards are met for all phases of the validation, operation and maintenance of computerised
systems. It should also include procedures and practices for the introduction of purchased systems and for the
The application of the principles of GLP to computerised
process of inhouse development of computerised systems.
systems
Quality Assurance personnel are required to monitor the GLP compliance of computerised systems
and Environment Monograph
should be given training No. 116
in any specialist techniques necessary. They should be sufficiently
familiar with such systems so as to permit objective comment; in some cases the appointment
of specialist auditors may be necessary.
Paris 1995
GLP HANDBOOK annex X The application of the principles of GLP
to computerised systems
QA personnel should have, for review, direct read-only access to the data stored within a
XXXXX system.
computerised
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Complete document available on OLIS in its original format
2. Training
The GLP Principles require that a test facility has appropriately qualified and experienced personnel
and that there are documented training programmes including both on-the-job training and, where
appropriate, attendance at external training courses. Records of all such training should be main-
226 tained.
The above provisions should also apply for all personnel involved with computerised systems.
Adequate facilities and equipment should be available for the proper conduct of studies in
compliance with GLP. For computerised systems there will be a number of specific considerations: a)
Facilities
Due consideration should be given to the physical location of computer hardware, peripheral
components, communications equipment and electronic storage media. Extremes of
temperature and humidity, dust, electromagnetic interference and proximity to high voltage
cables should be avoided unless the equipment is specifically designed to operate under such
conditions.
Consideration must also be given to the electrical supply for computer equipment and, where
appropriate, back-up or uninterruptable supplies for computerised systems, whose sudden
failure would affect the results of a study.
Adequate facilities should be provided for the secure retention of electronic storage media. b)
Equipment
Hardware is the physical components of the computerised system; it will include the com-
annex X The application of the principles of GLP to
computerised systems GLP HANDBOOK
Software is the programme or programmes that control the operation of the computerised system.
All GLP Principles which apply to equipment therefore apply to both hardware and software. ii)
Communications
Communications related to computerised systems broadly fall into two categories: between computers or
between computers and peripheral components.
All communication links are potential sources of error and may result in the loss or corruption of data.
Appropriate controls for security and system integrity 227 must be adequately addressed during the
development, validation, operation and maintenance of any computerised system.
All computerised systems should be installed and maintained in a manner to ensure the continuity of accurate
performance.
a) Maintenance
There should be documented procedures covering both routine preventative maintenance and fault repair.
These procedures should clearly detail the roles and responsibilities of personnel involved. Where such
maintenance activities have necessitated changes to hardware and/or software it may be necessary to
validate the system again. During the daily operation of the system, records should be maintained of any
problems or inconsistencies detected and any remedial action taken.
b) Disaster Recovery
Procedures should be in place describing the measures to be taken in the event of partial or total failure of a
computerised system. Measures may range from planned hardware redundancy to transition back to a
paper-based system. All contingency plans need to be well documented, validated and should ensure
continued data integrity and should not compromise the study in any way. Personnel involved in the
conduct of studies according to the GLP Principles should be aware of such contingency plans.
Procedures for the recovery of a computerised system will depend on the criticality of the system, but it is
essential that back-up copies of all software are maintained. If recovery procedures entail changes to hardware or
software, it may be necessary to validate the system again. 5. Data
The GLP Principles define raw data as being all original laboratory records and documentation, including
data directly entered into a computer through an instrument interface, which are the results of
GLP HANDBOOK annex X The application of the principles of GLP
to computerised systems
original observations and activities in a study and which are necessary for the reconstruction and
evaluation of the report of that study.
Computerised systems operating in compliance with GLP Principles may be associated with raw data in a
variety of forms, for example, electronic storage media, computer or instrument printouts and
microfilm/fiche copies. It is necessary that raw data are defined for each computerised system.
Where computerised systems are used to capture, process, report or store raw data electronically, system
design should always provide for the retention of full audit trails to show all changes to the data
without obscuring the original data. It should be possible to associate all changes to data with the
persons making those changes by use of timed and dated (electronic) signatures. Reasons for change
228 should be given.
When raw data are held electronically it is necessary to provide for long term retention requirements for
the type of data held and the expected life of computerised systems. Hardware and software system
changes must provide for continued access to and retention of the raw data without integrity risks.
Supporting information such as maintenance logs and calibration records that are necessary to verify the
validity of raw data or to permit reconstruction of a process or a study should be retained in the
archives.
Procedures for the operation of a computerised system should also describe the alternative data capture
procedures to be followed in the event of system failure. In such circumstances any manually
recorded raw data subsequently entered into the computer should be clearly identified as such, and
should be retained as the original record. Manual back-up procedures should serve to minimise the
risk of any data loss and ensure that these alternative records are retained.
Where system obsolescence forces a need to transfer electronic raw data from one system to another then
the process must be well documented and its integrity verified. Where such migration is not
practicable then the raw data must be transferred to another medium and this verified as an exact
copy prior to any destruction of the original electronic records.
6. Security
Documented security procedures should be in place for the protection of hardware, software and data
from corruption or unauthorised modification, or loss. In this context security includes the prevention
of unauthorised access or changes to the computerised system as well as to the data held within the
system. The potential for corruption of data by viruses or other agents should also be addressed.
Security measures should also be taken to ensure data integrity in the event of both short term and
long term system failure.
a) Physical Security
annex X The application of the principles of GLP to
computerised systems GLP HANDBOOK
Physical security measures should be in place to restrict access to computer hardware, communications equipment,
peripheral components and electronic storage media to authorised personnel only. For equipment not held
within specific computer rooms (e.g., personal computers and terminals), standard test facility access controls
are necessary as a minimum. However, where such equipment is located remotely (e.g., portable components
and modem links), additional measures need to be taken.
b) Logical Security
For each computerised system or application, logical security measures must be in place to prevent unauthorised
access to the computerised system, applications and 229 data. It is essential to ensure that only approved
versions and validated software are in use. Logical security may include the need to enter a unique
user identity with an associated password. Any introduction of data or software from external sources should
be controlled. These controls may be provided by the computer operating system software, by specific security
routines, routines embedded into the applications or combinations of the above.
c) Data Integrity
Since maintaining data integrity is a primary objective of the GLP Principles, it is important that everyone
associated with a computerised system is aware of the necessity for the above security considerations.
Management should ensure that personnel are aware of the importance of data security, the procedures and
system features that are available to provide appropriate security and the consequences of security breaches.
Such system features could include routine surveillance of system access, the implementation of file
verification routines and exception and/or trend reporting.
d) Back-up
It is standard practice with computerised systems to make back-up copies of all software and data to allow for
recovery of the system following any failure which compromises the integrity of the system e.g., disk
corruption. The implication, therefore, is that the back-up copy may become raw data and must be treated as
such.
7. Validation of Computerised Systems
Computerised systems must be suitable for their intended purpose. The following aspects should be addressed:
a) Acceptance
Computerised systems should be designed to satisfy GLP Principles and introduced in a preplanned manner.
There should be adequate documentation that each system was developed in a controlled manner and
preferably according to recognised quality and technical standards (e.g. ISO/9001). Furthermore, there
230
should be evidence that the system was adequately tested for conformance with the acceptance criteria by
the test facility prior to being put into routine use. Formal acceptance testing requires the conduct of tests
following a pre-defined plan and retention of documented evidence of all testing procedures, test data,
test results, a formal summary of testing and a record of formal acceptance.
GLP HANDBOOK annex X The application of the principles of GLP
to computerised systems
For vendor-supplied systems it is likely that much of the documentation created during the development
is retained at the vendors site. In this case, evidence of formal assessment and/or vendor audits should be
available at the test facility.
b) Retrospective Evaluation
There will be systems where the need for compliance with GLP Principles was not foreseen or not specified.
Where this occurs there should be documented justification for use of the systems; this should involve a
retrospective evaluation to assess suitability.
Retrospective evaluation begins by gathering all historical records related to the computerised system. These
records are then reviewed and a written summary is produced. This retrospective evaluation summary
should specify what validation evidence is available and what needs to be done in the future to ensure
validation of the computerised system.
c) Change Control
Change control is the formal approval and documentation of any change to the computerised system during
the operational life of the system. Change control is needed when a change may affect the computerised
systems validation status. Change control procedures must be effective once the computerised system is
operational.
The procedure should describe the method of evaluation to determine the extent of retesting necessary to
maintain the validated state of the system. The change control procedure should identify the persons
responsible for determining the necessity for change control and its approval.
Irrespective of the origin of the change (supplier or in-house developed system), appropriate information needs
to be provided as part of the change control process. Change control procedures should ensure data
integrity.
d) Support Mechanism
In order to ensure that a computerised system remains suitable for its intended purpose, support mechanisms
should be in place to ensure the system is functioning and being used correctly. This may involve system
management, training, maintenance, technical support, auditing and/or performance assessment.
Performance assessment is the formal review of a system at periodic intervals to ensure that it continues
to meet stated performance criteria, e.g., reliability, responsiveness, capacity.
8. Documentation
The items listed below are a guide to the minimum documentation for the development, validation, operation and
maintenance of computerised systems.
annex X The application of the principles of GLP to
computerised systems GLP HANDBOOK
a) Policies 231
There should be written management policies covering, inter alia, the acquisition, requirements, design, validation,
testing, installation, operation, maintenance, staffing, control, auditing, monitoring and retirement of
computerised systems.
b) Application Description
the name of the application software or identification code and a detailed and clear description of the purpose of the
application;
the hardware (with model numbers) on which the application software operates;
the operating system and other system software (e.g., tools) used in conjunction with the application;
the application programming language(s) and/or data base tools used;
the major functions performed by the application;
an overview of the type and flow of data/data base design associated with the application;
file structures, error and alarm messages, and algorithms associated with the application;
the application software components with version numbers;
configuration and communication links among application modules and to equipment and other systems.
c) Source Code
Some OECD Member countries require that the source code for application software should be available
at, or retrievable to, the test facility.
Much of the documentation covering the use of computerised systems will be in the form of SOPs. These
should cover but not be limited to the following:
Procedures for the operation of computerised systems (hardware/software), and the responsibilities of personnel
232
involved.
Procedures for security measures used to detect and prevent unauthorised access and programme changes.
Procedures and authorisation for programme changes and the recording of changes.
Procedures and authorisation for changes to equipment (hardware/software) including testing before use if
appropriate.
GLP HANDBOOK annex X The application of the principles of GLP
to computerised systems
Procedures for the periodic testing for correct functioning of the complete system or its component parts and the
recording of these tests.
Procedures for the maintenance of computerised systems and any associated equipment.
Procedures for software development and acceptance testing, and the recording of all acceptance testing.
Back-up procedures for all stored data and contingency plans in the event of a breakdown.
Procedures for the archiving and retrieval of all documents, software and computer data.
Procedures for the monitoring and auditing of computerised systems.
9. Archives
The GLP Principles for archiving data must be applied consistently to all data types. It is therefore important that
electronic data are stored with the same levels of access control, indexing and expedient retrieval as other types
of data.
Where electronic data from more than one study are stored on a single storage medium (e.g., disk or tape), a
detailed index will be required.
It may be necessary to provide facilities with specific environmental controls appropriate to ensure the integrity of
the stored electronic data. If this necessitates additional archive facilities then management should ensure that
the personnel responsible for managing the archives are identified and that access is limited to authorised
personnel. It will also be necessary to implement procedures to ensure that the long-term integrity of data
stored electronically is not compromised. Where problems with long-term access to data are envisaged or when
computerised systems have to be retired, procedures for ensuring that continued readability of the data should
be established. This may, for example, include producing hard copy printouts or transferring the data to another
system.
No electronically stored data should be destroyed without management authorization and relevant documentation.
Other data held in support of computerised systems, such as source code and development, validation,
operation, maintenance and monitoring records, should be held for at least as long as study records associated
with these systems.
Definition of terms22
22 Further definitions of terms can be found in the OECD Principles of Good Laboratory Practice.
annex X The application of the principles of GLP to
computerised systems GLP HANDBOOK
Acceptance Criteria: The documented criteria that should be 233 met to successfully complete a test phase or to
meet delivery requirements.
Acceptance Testing: Formal testing of a computerised system in its anticipated operating environment to determine
whether all acceptance criteria of the test facility have been met and whether the system is acceptable for operational
use.
Back-up: Provisions made for the recovery of data files or software, for the restart of processing, or for the use of
alternative computer equipment after a system failure or disaster.
Change Control: Ongoing evaluation and documentation of system operations and changes to determine whether a
validation process is necessary following any changes to the computerised system.
Computerised System: A group of hardware components and associated software designed and assembled to
perform a specific function or group of functions.
Electronic Signature: The entry in the form of magnetic impulses or computer data compilation of any symbol or
series of symbols, executed, adapted or authorized by a person to be equivalent to the persons handwritten
signature.
Hardware: The physical components of a computerised system, including the computer unit itself and its peripheral
components.
Peripheral Components: Any interfaced instrumentation, or auxiliary or remote components such as printers,
modems and terminals, etc.
Recognised Technical Standards: Standards as promulgated by national or international standard setting bodies
(ISO, IEEE, ANSI, etc.)
Security: The protection of computer hardware and software from accidental or malicious access, use, modification,
destruction or disclosure. Security also pertains to personnel, data, communications and the physical and logical
protection of computer installations.
Software (Application): A programme acquired for or developed, adapted or tailored to the test facility requirements for the purpose
of controlling processes, data collection, data manipulation, data reporting and/or archiving.
Software (Operating System): A programme or collection of programmes, routines and sub-routines that controls the operation of a
computer. An operating system may provide services such as resource allocation, scheduling, input/output control, and data
management.
Source Code: An original computer programme expressed in human-readable form (programming language) which must be
translated into machine-readable form before it can be executed by the computer.
Validation of a Computerised System: The demonstration that a computerised system is suitable for its intended purpose.
The Role and Responsibilities of the Sponsor in the Application of the Principles of GLP
235
Also published in the Series on Principles of Good
Laboratory Practice and Compliance Monitoring
No. 8, The Role and Responsibilities of the Study Director in GLP Studies (1993)
OECD 1998
Applications for permission to reproduce or translate all or part of this material should be made to: Head of Publications Service, OECD, 2 rue Andr-
Pascal, 75775 Paris Cedex 16, France.
The Organisation for Economic Co-operation and Development (OECD) is an intergovernmental organisation in which
representatives of 29 industrialised countriesUnclassified ENV/MC/CHEM(
in North America, Europe and the Pacific, as well as the European Commission, meet to
co-ordinate and harmonize policies, discuss issues of mutual concern, and work together to respond to international problems. Most
of the OECDs work is carried out by more than Organisation de Coopration
200 specialised etand
Committees de Dveloppement
subsidiary groupsEconomiques OLIS 21-
composed of Member country : Jan-19
delegates. Observers from several countries withOrganisation for at
special status Economic Co-operation
the OECD, and Development
and from interested Dist.
international organisations, : 22-Jan-19
attend
Or. E
ENVIRONMENT DIRECTORATE
CHEMICALS GROUP AND MANAGEMENT COMMITTEE
ENV/MC/CHEM(98)16
many of the OECDs Workshops and other meetings. Committees and subsidiary groups are served by the OECD Secretariat, located
in Paris, France, which is organised into Directorates and Divisions.
238
The work of the OECD related to chemical safety is carried out in the Environmental Health and Safety Division. The
Environmental Health and Safety Division publishes free-of-charge documents in six different series: Testing and Assessment;
This publication is available electronically, at no charge.
Principles of Good Laboratory Practice and Compliance Monitoring; Pesticides; Risk Management; Chemical Accidents and
OECD SERIES
Harmonization of Regulatory Oversight in Biotechnology. ON PRINCIPLES
More information about the OF GOOD LABORATORY
Environmental PRACTICE
Health and Safety
Programme and EHS publications is available on OECDs World Wide Web
AND COMPLIANCE MONITORING site (see next page).
For the complete text of this and many other Environmental
Health Number 11
This publication was produced within theand Safety of
framework publications, consult the
the Inter-Organization OECDs
Programme for the Sound Management of
Chemicals (IOMC).
World Wide Web site (http://www.oecd.org/ehs/)
Advisory Document of the Panel on Good Laboratory Practice
Fax: (33-1) 45 24 16 75
E-mail: [email protected]
239
60994
In the framework of the Revision of the OECD Principles on Good Laboratory Practice, the Expert Group was not able to reach
consensus on whether and how to deal with the role and responsibilities of the sponsor of chemical safety studies in the Principles.
The revised Principles of GLP* contain several explicit references to the sponsor, and the issue is implicit in several other principles.
However, there was no agreement on the need for and content of a separate section in the Principles on this matter.
On the recommendation of the Chairman of the Expert Group, the Panel on GLP therefore agreed to develop a document which
could advise the testing industry as far as possible on current 241 practice in Member countries and the interpretation of Panel of
the GLP Principles related to this issue. At its ninth meeting in March 1997, the panel endorsed a document drafted by a
Task Group on the role and responsibilities of the sponsor. The Task Group had met in Lisbon on 8th and 9th January 1997, was
chaired by Theo Helder (Netherlands), and comprised Panel Members or their representatives from Canada, Finland, France,
Germany, Portugal, Sweden, and Switzerland.
The Joint Meeting of the Chemicals Group and Management Committee of the Special Programme on the Control of Chemicals
at its 26th Meeting endorsed the document and recommended that it be derestricted under the authority of the Secretary-General. The
Joint Meeting recommended that it be published alongside the Guidance Documents for GLP Monitoring Authorities and the
Consensus Documents in the OECD Series on GLP and Compliance Monitoring as the first Advisory Document.
See No. 1 of the Series in GLP and Compliance Monitoring, OECD, Paris, 1998
GLP HANDBOOK annex Xi The role and responsabilities of the sponsor in the
application...
Advisory Document of the Panel on GLP
Introduction
1. Although the revised Principles of Good Laboratory Practice only explicitly assign a few responsibilities to the sponsor
of a study, the sponsor has other implicit responsibilities. These arise from the fact that the sponsor is often the party
who initiates one or more studies and directly submits the results thereof to regulatory authorities. The sponsor must
therefore assume an active role in confirming that all nonclinical health and environmental safety studies were
conducted in compliance with GLP. Sponsors cannot rely solely on the assurances of test facilities they may have
242 contracted to arrange or perform such studies. The guidance given below attempts to outline both the explicit and
implicit responsibilities of a sponsor necessary to fulfil his obligations.
Definition
2. Sponsor means an entity which commissions, supports and/or submits a non-clinical health and environmental safety
study. (See revised OECD Principles of GLP, para. 2.2, point no. 5.)
an entity1* who initiates and support, by provision of financial or other resources, non-clinical health and
environmental safety studies;
an entity who submits non-clinical health and environmental safety studies to regulatory authorities in support of a
product registration or other application for which GLP compliance is required.
3. The sponsor should understand the requirements of the Principles of Good Laboratory Practice, in particular those
related to the responsibilities of the test facility management and the Study Director/Principal Investigator.
Note: If parts of the study are contracted out to subcontractors by the sponsor, the sponsor should be aware that the
responsibility for the whole study remains with the Study Director, including the validity of the raw data and the
report.
Entity may include an individual, partnership, corporation, association, scientific or academic establishment, government agency,
or organisational unit thereof, or any other legally identifiable body.
annex Xi The role and responsabilities of the sponsor in the application...
GLP HANDBOOK
When commissioning a non-clinical health and environmental safety study, the sponsor should ensure that the test facility is able
to conduct the study in compliance with GLP and that it is aware that the study is to be performed under GLP.
Note: There are various tools for assessing the ability of a test facility to conduct a study in compliance with GLP. It can be
useful for the sponsor to monitor contracted laboratories prior to the initiation of as well as during the study in
accordance with its nature, length and complexity to ensure that its facilities, equipment, SOPs and personnel are
according to GLP. If the test facility is in the national GLP compliance monitoring programme, the national monitoring
authority2 may also be contacted to determine the current GLP compliance status of the test facility.
243
5. Where several studies are presented to a regulatory authority in a single package, the responsibility for the
integrity of the assembled package of unaltered final reports lies with the sponsor. It is necessary that the sponsor ensures
that adequate communication links exist between his representatives and all parties conducting a study, such as the Study
Director, Quality Assurance unit and test facility management.
The sponsor is explicitly mentioned in several of the requirements of the revised OECD Principles of GLP:
Characterisation of Test Item: In cases where the test item is supplied by the sponsor, there should be a mechanism,
developed in co-operation between the sponsor and the test facility, to verify the identity of the test item subject to the
study. (See revised Principles, para. 6.2, point no. 3.)
Note: This requirement has been added to the revised GLP Principles in order to ensure that there is no mix-up of test
items.
Study Plan: The study plan should also be approved by the test facility management and the sponsor if required by
national regulation or legislation in the country where the study is being performed. (See revised Principles, para. 8.1,
point no. 1.)
Note: Some Member countries require approval of study plans by sponsors due to legal considerations related to
responsibility for validity of test data.
Content of the Study Plan: The Study Plan should contain...information concerning the sponsor and the test
facility ...the name and address of the sponsor (See revised Principles, para. 8.2, point no. 2 a.)
The Study Plan should contain... (the) date of approval of the study plan by signature of the test facility management
and sponsor if required by national regulation or legislation in the country where the study is being performed. (See
revised Principles, para. 8.2, point no. 3a.)
2. Sponsors should be aware that, notwithstanding any contractual requirements for confidentiality, national GLP monitoring
authorities have access to all data produced by a GLP compliance facility.
GLP HANDBOOK annex Xi The role and responsabilities of the sponsor in the
application...
Content of the Final Report: The final report should include...information concerning the sponsor and the test
facility...name and address of the sponsor. (See revised Principles, para. 9.2, point no. 2 a.)
Storage and Retention of Records and Materials: If a test facility or an archive contracting facility goes out of
business and has no legal successor, the archive should be transferred to the archives of the sponsor(s) of the study(s).
(See revised Principles, para. 10.4.)
Note: In this case, the sponsor is expected to arrange for an archive for the appropriate storage and retrieval of study
plans, raw data, specimens, samples of test and reference items and final reports in accordance with the
Principles of GLP.
7. The sponsor should inform the test facility of any known potential risks of the test item to human health or the environment
as well as any protective measures which should be taken by test facility staff.
8. The revised OECD Principles of GLP include several requirements related to the characterisation of the test item (e.g. para. 6.2,
point nos. 1 and 2; para. 9.2, point no. 1 d). These requirements call for careful identification of the test item and description of
its characteristics. This characterisation is carried out either by the contracted test facility or by the sponsor. If the
characterisation is indeed conducted by the sponsor, this fact should be explicitly mentioned in the final report. Sponsors should
be aware that failure to conduct characterisation in accordance with GLP case could lead to rejection of a study by a regulatory
authority in some Member countries.
9. If characterisation data are not disclosed by the sponsor to the contracted test facility, this fact should also be explicitly
mentioned in the final report.
10. The ultimate responsibility for the scientific validity of a study lies with the Study Director, and not with the sponsor, whose
responsibility is to make the decision, based on the outcome of the studies, whether or not to submit a chemical for registration
to a regulatory authority.
Requesting and Carrying out Inspections and Study Audits in another Country
245
No. 2, Revised Guides for Compliance Monitoring Procedures for Good Laboratory Practice (1995)
No. 3, Revised Guidance for the Conduct of Laboratory Inspections and Study Audits (1995)
No. 5, Compliance of Laboratory Suppliers with GLP Principles (as revised in 1999)
No. 6, The Application of the GLP Principles to Field Studies (as revised in 1999)
No. 7, The Application of the GLP Principles to Short-term Studies (as revised in 1999)
No. 8, The Role and Responsibilities of the Study Director in GLP Studies (as revised in 1999)
No. 10, The Application of the Principles of GLP to Computerised Systems (1995)
OECD 2000
Applications for permission to reproduce or translate all or part of this material should be made to: Head of Publications Service, OECD, 2 rue Andr-
Pascal, 75775 Paris Cedex 16, France.
The Organisation for Economic Co-operation and Development (OECD) is an intergovernmental organisation in which
representatives of 29 industrialised countries in North America, Europe and the Pacific, as well as the European Commission, meet to
coordinate and harmonize policies, discuss issues of mutual concern, and work together to respond to international problems. Most
of the OECDs work is carried out by more than 200 specialised Committees and subsidiary groups composed of Member country
delegates. Observers from several countries with special status at the OECD, and from interested international organisations, attend
many of the OECDs Workshops and other meetings. Committees and subsidiary groups are served by the OECD Secretariat, located
in Paris, France, which is organised into Directorates and Divisions.
247
The work of the OECD related to chemical safety is carried out in the Environmental Health and Safety Division.
The Environmental Health and Safety Division publishes free-of-charge documents in six different series: Testing and Assessment;
Principles on Good Laboratory Practice and Compliance Monitoring; Pesticides; Risk Management; Chemical Accidents and
Harmonization of Regulatory Oversight in Biotechnology. More information about the Environmental Health and Safety
Programme and EHS publications is available on OECDs World Wide Web site (see next page).
This publication was produced within the framework of the Inter-Organization Programme for the Sound Management of
Chemicals (IOMC).
This
The Inter-Organization publication
Programme is available
for the electronically,
Sound Management at no charge.
of Chemicals (IOMC) was established in 1995 by UNEP,
ILO, FAO, WHO, UNIDO and the OECD (the Participating Organizations), following recommendations made by the
1992 UN Conference on Environment and Development to strengthen co-operation and increase international
Forfield
coordination in the theofcomplete
chemicaltext of this
safety. and many
UNITAR joined other Environmental
the IOMC in 1997 to become the seventh Participating
Organization. The purpose of the
Health andIOMC
Safetyispublications,
to promote co-ordination of the policies and activities pursued by the
consult the OECDs
Participating Organizations, jointly
World Wideor separately, to achieve the sound management of chemicals in relation to human
Web site (http://www.oecd.org/ehs/)
health and the environment.
248
FOREWORD
or contact:
Unclassified
Advisory Document of the Working Group on GLP ENV/JM/MONO(2
Organisation de Coopration et de Dveloppement Economiques
Organisation for Economic Co-operation and Development 25-Jun-2
RECOMMENDATIONS FOR REQUESTING AND CARRYING OUT
INSPECTIONS AND STUDY AUDITS IN ANOTHER COUNTRY English - O
ENVIRONMENT DIRECTORATE
JOINT MEETING OF THE CHEMICALS COMMITTEE AND
Introduction THE WORKING PARTY ON CHEMICALS, PESTICIDES AND BIOTECHNOLO
In the 1989 Council Decision-Recommendation on Compliance with the Principles of Good Laboratory Practice
(C(89)87/Final), Member countries decided that, for purposes of the recognition of the assurance by another Member country
250
that test data have been generated in accordance with GLP Principles countries shall implement procedures whereby, where
good reason exists, information concerning GLP compliance of a test facility (including information focusing on a particular study)
ENV/J
within their jurisdiction M/MO
can NO(2
be sought 000)3
by another Member country. It is understood that such procedures should only be applied in
exceptional circumstances.
The Working Group on Good Laboratory Practices proposed clarification of this decision based on the Revised OECD
Principles of GLP and recommended the procedures set out below. This clarification was considered necessary, since it was
recognised that some test facilities have test sites located under the jurisdiction of another country. These facilities or sites may
not necessarily be part of the GLP compliance monitoring programme of the country of location, although many Member
countries consider this desirable and useful.
OECD SERIES ON PRINCIPLES OF GOOD LABORATORY PRACTIC
AND COMPLIANCE
The Working Group agreed, that the use of the term MONITORING
test facility in the 1989 Council Act encompassed both test facility
Number
and test site as defined in the Revised OECD 12 Principles of GLP. Therefore any Member country can request an
inspection/study audit from both test facilities and test sites located in another country. This request could concern any
organisation associated with regulated GLP Advisory
studies, whether these be main
Document test facilities
of the Working or test sites (dependent
Group on Good orLaboratory
independent Pract
of the test facility) which carry out phases of a study such as chemical analysis, histopathology or field studies.
English - Or. English
Requests Requesting
can also be made to inspect and such
associated organisations carrying out
as independent inspections
Quality and study
Assurance or archiving facilities
if national legislation allows. However,audits in another
this information country
exchange could be of a more informal nature and such operations need
not necessarily appear in the Annual Overviews of Inspected Facilities exchanged among Members of the Working Group on
GLP. These Annual Overviews should, however, include test facilities and test sites which were inspected or in which study
audits were carried out.
In order to implement procedures to allow for this information exchange to take place smoothly and efficiently among
monitoring authorities, to avoid duplication and wasting of resources and to assure that there is adequate compliance monitoring,
the Working Group agreed that a process needed to be established for requesting inspections or study audits in another country.
JT00128864
The Working Group agreed that if justifiable requests to confirm compliance with GLP are made, every effort should be
made to accommodate requests for inspections or study audits of test facilities or sites in other countries. If the country where
the facility or site is located cannot accommodate the request
annex Xii Requesting and carring out inspections ans study audits in... GLP
HANDBOOK
in the framework of its current GLP monitoring programme and/or schedule, an alternative could be to allow the requesting
country to undertake the inspection and/or audit itself (at its own expense as mutually agreed by both parties). Refusal to
accommodate such requests may result in rejection of studies from the facility or site concerned. It was agreed that all Members
of the Working Group on GLP should be informed of such refusals and that the circumstances should be discussed in the
Working Group.
Recommended Procedures to be followed in requesting and carrying out inspections and study audits in
another country
1. The request for an inspection and/or study audit in another country should be made in writing and justified. The two
countries should work out the arrangements to accommodate the request and for provision appropriate materials in a
timely manner.
2. The liaison and lines of communication should be 251 between the two national GLP Monitoring Authorities
concerned.
3. The inspection/study audit will normally be led by the monitoring authority where the facility and/or site is located. An
inspector or inspectors from the requesting country can be present at the inspection/study audit. Receiving authorities may
participate if appropriate. The requesting country shall cover any costs involved for its own personnel.
4. The inspection/study audit report should be submitted to the requesting country (in an appropriate language as agreed
between the two countries), with the appropriate measures taken to cover concerns about protection of commercial and
industrial secrecy as required by national legislation.
5. Any major findings during such inspections/study audits should be followed up by the appropriate monitoring
authority(ies).
6. Financial arrangements for inspections and study audits undertaken in this context will be made by the country in which
they take place. The requesting country cannot be charged for this work.
7. Inspections and study audits undertaken in this context should appear in the Annual Overview of the country that led the
inspection/study audit.
. The Application of the OECD Principles of GLP to the Organisation and Management of Multi-SiteStudies
No. 2, Revised Guides for Compliance Monitoring 253 Procedures for Good Laboratory Practice
(1995)
No. 3, Revised Guidance for the Conduct of Laboratory Inspections and Study Audits (1995)
No. 5, Compliance of Laboratory Suppliers with GLP Principles (as revised in 1999)
No. 6, The Application of the GLP Principles to Field Studies (as revised in 1999)
No. 7, The Application of the GLP Principles to Short-term Studies (as revised in 1999)
No. 8, The Role and Responsibilities of the Study Director in GLP Studies (as revised in 1999)
No. 10, The Application of the Principles of GLP to Computerised Systems (1995)
No. 11, The Role and Responsibilities of the Sponsor in the Application of the Principles of GLP (1998)
OECD 2002
Applications for permission to reproduce or translate all or part of this material should be made to: Head of Publications Service, OECD, 2 rue Andr-
Pascal, 75775 Paris Cedex 16, France.
The Inter-Organization Programme for the Sound Management of Chemicals (IOMC) was established in 1995 by UNEP,
ILO, FAO, WHO, UNIDO and the OECD2 (the rue Participating
Andr-Pascal Organizations), following recommendations made by the
1992 UN Conference on Environment 75775and Development
Paris to strengthen co-operation and increase international
Cedex 16 France
coordination in the field of chemical safety. UNITAR joined the IOMC in 1997 to become the seventh Participating
Organization. The purpose of the IOMC is to promote co-ordination of the policies and activities pursued by the
Participating Organizations, jointly or separately,
Fax: (33-1)to 45
achieve
24 16the
75sound management of chemicals in relation to human
health and the environment.
FOREWORD
E-mail: [email protected]
It is becoming increasingly common for non-clinical health and environmental safety studies to be conducted at more than one
site. For example, companies may use facilities which specialise in different activities located at sites in various countries; or field
trials on agrochemicals may have to be conducted on different crops or soil types located in different regions or countries.
Toxicology studies may also have phases of the study conducted by different departments of the same organisation or different
companies.
In the framework of the second OECD Consensus Workshop on Good Laboratory Practice, held 21st 23rd May 1991, in Vail,
Colorado, experts discussed and reached consensus on the application of the GLP Principles to field studies. An OECD
Consensus Document on The Application of the GLP 257 Principles to Field Studies was subsequently published in
1992 and revised in 1999 [ENV/JM/MONO(99)23]. Among other aspects, this document introduced the concept of a Principal
Investigator who could assume delegated responsibility for a phase of a field study being conducted at a test site that was remote
from the Study Director. Although the concept of a Principal Investigator had originally been developed to assist in the conduct of
field studies that included trials being conducted at several different locations, the concept is equally applicable to any other type of
multi-site study.
Unclassified
The revised OECD Principles of Good Laboratory Practice published in 1997 now refer to the role of the Principal Investigator
in the conduct of any multi-site study.
A study can be a multi-site study for a variety of reasons. A single site that undertakes a study may not have the technical
expertise or capability to perform a particular task that is needed, so this work is performed at another site. A sponsor who has placed
a study at a contract research organisation may request that certain study activities, such as bioanalysis, be contracted out to a
specified laboratory or the sponsor may request that specimens be returned to them for analysis
The purpose of this document is to provide guidance on the issues that are involved in the planning, performance, monitoring,
recording, reporting and archiving of multi-site studies. It was developed by the Fourth OECD Consensus Workshop in Horley,
United Kingdom in June 2001. It was endorsed by the Working Group on GLP in December 2001 and, subsequently, by the Joint
Meeting of the Chemicals Committee and Working Party on Chemicals, Pesticides and Biotechnology in February 2002. It was
declassified under the authority of the Secretary-General.
This guidance is complementary to that given in other documents in the OECD Series on GLP and Compliance Monitoring.
Unclassified ENV/JM/MONO(2
Organisation de Coopration et de Dveloppement Economiques
Organisation for Economic Co-operation and Development 25-Jun-2
English - O
ENVIRONMENT DIRECTORATE
JOINT MEETING OF THE CHEMICALS COMMITTEE AND
THE WORKING PARTY ON CHEMICALS, PESTICIDES AND BIOTECHNOLO
ENV/JM/MONO(2002)9
AND COMPLIANCE MONITORING
Number 13
English - Or. English The Application of the OECD Principles of GLP to the O
Management of Multi-Site Studies
JT00128856
CONTENTS
INTRODUCTION . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 260
The planning, performance, monitoring, recording, reporting and archiving of a multi-site study
present a number of potential problems that should be addressed to ensure that the GLP compliance of the
study is not compromised. The fact that different study activities are being conducted at different sites
means that the planning, communication and control of the study are of vital importance.
260
Although a multi-site study will consist of work being conducted at more than one site (which
includes the test facility and all test sites), it is still a single study that should be conducted in accordance
with the OECD Principles of GLP. This means that there should be a single study plan, a single Study
Director, and ultimately, a single final report. It is therefore essential that, when the study is first planned,
personnel and management at the contributing sites are made aware that the work they will perform is part
of a study under the control of the Study Director and is not to be carried out as a separate study.
It is imperative that the work to be carried out by the various sites is clearly identified at an early
stage of planning, so that the necessary control measures can be agreed upon by the parties concerned
before the study plan is finalised.
Many of the problems associated with the conduct of multi-site studies can be prevented by clear
allocation of responsibilities and effective communication among all parties involved in the conduct of the
annex Xiii The application of the OECD principles of
GLP to... GLP HANDBOOK
study. This will include the sponsor, the Study Director, and the management, the Principal
Investigator(s), Quality Assurance and study personnel at each site.
All of these parties should be aware that when a multi-site study is conducted in more than one
country there might be additional issues due to differences in national culture, language and GLP
compliance monitoring programmes. In these situations it may be necessary to seek the advice of the
national GLP compliance monitoring authority where the site is located.
The guidance contained within this document should be considered during the planning,
performance, monitoring, recording, reporting and archiving of any study that will be conducted at more
than one site. The guidance applies to all types of non-clinical health and environmental safety studies.
A multi-site study means any study that has phases conducted at more than one site. Multi-site studies
become necessary if there is a need to use sites that are geographically remote, organisationally distinct or
otherwise separated. This could include a department of an organisation acting as a test site when another
department of the same organisation acts as the test facility.
The decision to conduct a multi-site study should be carefully considered by the sponsor in
consultation with test facility management assigned by the sponsor before study initiation. The use of
multiple test sites increases the complexity of study design and management tasks, resulting in additional
risks to study integrity. It is therefore important that all of the potential threats to study integrity presented
by a multi-site configuration are evaluated, that responsibilities are clear and that risks are minimised. Full
consideration should be given to the technical/scientific expertise, GLP compliance status, resources and
commercial viability of all of the test sites that may be used.
Communication
For a multi-site study to be conducted successfully it is imperative that all parties involved are aware
of their responsibilities. In order to discharge these responsibilities, and to deal with any events that may
need to be addressed during the conduct of the study, the flow of information and effective
communication among the sponsor, management at sites, the Study Director, Principal Investigator(s),
Quality Assurance and study personnel is of paramount importance.
The mechanism for communication of study-related 261 information among these parties
should be agreed in advance and documented.
The Study Director should be kept informed of the progress of the study at all sites.
GLP HANDBOOK annex Xiii The application of the OECD
principles of GLP to...
Study management
The sponsor will assign a study to a test facility. Test facility management will appoint the Study
Director who need not necessarily be located at the site where the majority of the experimental work is
done. The decision to conduct study activities at other sites will usually be made by test facility
management in consultation with the Study Director and the sponsor, where necessary.
When the Study Director is unable to perform his/her duties at a test site because of geographical or
organisational separation, the need to appoint a Principal Investigator(s) at a test site(s) arises. The
performance of duties may be impracticable, for example, because of travel time, time zones, or delays in
language interpretation. Geographical separation may relate to distance or to the need for simultaneous
attention at more than one location.
Test facility management should facilitate good working relationships with test site management to
ensure study integrity. The preferences of the different groups involved, or commercial and confidentiality
agreements, should not preclude the exchange of information necessary to ensure proper study conduct.
Sponsor
The decision to conduct a multi-site study should be carefully considered by the sponsor in
consultation with test facility management before study initiation. The sponsor should specify whether
compliance with the OECD Principles of GLP and applicable national legislation is required. The sponsor
should understand that a multi-site study must result in one final report.
The sponsor should be aware that, if its site acts as a test site undertaking a phase(s) of a multisite
study, its operations and staff involved in the study are subject to control of the Study Director. According
to the specific situation, this may include visits from test facility management, the Study Director and/or
inspections by the lead Quality Assurance. The Study Director has to indicate the extent to which the
study complies with GLP, including any work conducted by the sponsor.
Test facility management should approve the selection of test sites. Issues to consider will include,
but are not limited to, practicality of communication, adequacy of Quality Assurance arrangements, and
262
the availability of appropriate equipment and expertise. Test facility management should designate a lead
Quality Assurance that has the overall responsibility for quality assurance of the entire study. Test facility
management should inform all test site quality assurance units of the location of the lead Quality
Assurance. If it is necessary to use a test site that is not included in a national GLP compliance monitoring
programme, the rationale for selection of this test site should be documented. Test facility management
should make test site management aware that it may be subject to inspection by the national GLP
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compliance monitoring authority of the country in which the test site is located. If there is no national
GLP compliance monitoring authority in that country, the test site may be subject to inspection by the
GLP compliance monitoring authority from the country to which the study has been submitted.
Test site management is responsible for the provision of adequate site resources and for selection of
appropriately skilled Principal Investigator(s). If it becomes necessary to replace a Principal Investigator,
test site management will appoint a replacement Principal Investigator in consultation with the sponsor,
the Study Director and test facility management where necessary. Details should be provided to the Study
Director in a timely manner so that a study plan amendment can be issued. The replacement Principal
Investigator should assess the GLP compliance status of the work conducted up to the time of
replacement.
Study Director
The Study Director should ensure that the test sites selected are acceptable. This may involve visits
to test sites and meetings with test site personnel.
If the Study Director considers that the work to be done at one of the test sites can be adequately
controlled directly by him(her)self without the need for a Principal Investigator to be appointed, he/she
should advise test facility management of this possibility. Test facility management should ensure that
appropriate quality assurance monitoring of that site is arranged. This could be by the test sites own
Quality Assurance or by the lead Quality Assurance.
The Study Director is responsible for the approval of the study plan, including the incorporation of
contributions from Principal Investigators. The Study Director will approve and issue amendments to and
acknowledge deviations from the study plan, including those relating to work undertaken at sites. The
Study Director is responsible for ensuring that all staff are clearly aware of the requirements of the study
and should ensure that the study plan and amendments are available to all relevant personnel.
The Study Director should set up, test and maintain appropriate communication systems between
him(her)self and each Principal Investigator. For example, it is prudent to verify telephone numbers and
electronic mail addresses by test transmissions, to consider signal strength at rural field stations, etc.
Differences in time zones may need to be taken into account. The Study Director should liase directly
with each Principal Investigator and not via an intermediary except where this is unavoidable (e.g., the
need for language interpreters).
Throughout the conduct of the study, the Study Director 263 should be readily available to the
Principal
Investigators. The Study Director should facilitate the co-ordination and timing of events and movement
of samples, specimens or data between sites, and ensure that Principal Investigators under-
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The Study Director should liase with Principal Investigators about test site quality assurance findings
as necessary. All communication between the Study Director and Principal Investigators or test site
quality assurance in relation to these findings should be documented.
The Study Director should ensure that the final report is prepared, incorporating any contributions
from Principal Investigators. The Study Director should ensure that the final report is submitted to the
lead Quality Assurance for inspection. The Study Director will sign and date the final report to indicate
the acceptance of responsibility for the validity of the data and to indicate the extent to which the study
complies with the OECD Principles of Good Laboratory Practice. This may be based partly on written
assurances provided by the Principal Investigator(s).
At sites where no Principal Investigator has been appointed, the Study Director should liase directly
with the personnel conducting the work at those sites. These personnel should be identified in the study
plan.
Principal Investigator
The Principal Investigator acts on behalf of the Study Director for the delegated phase and is
responsible for ensuring compliance with the Principles of GLP for that phase. A fully co-operative, open
working relationship between the Principal Investigator and the Study Director is essential.
There should be documented agreement that the Principal Investigator will conduct the delegated
phase in accordance with the study plan and the Principles of GLP. Signature of the study plan by the
Principal Investigator would constitute acceptable documentation.
Deviations from the study plan or Standard Operating Procedures (SOPs) related to the
study should be documented at the test site, be acknowledged by the Principal Investigator and
reported to and acknowledged by the Study Director in a timely manner.
The Principal Investigator should provide the Study Director with contributions which
enable the preparation of the final report. These contributions should include written assurance
from the Principal Investigator confirming the GLP compliance of the work for which he/she is
responsible.
The Principal Investigator should ensure that all data and specimens for which he/she is
responsible are transferred to the Study Director or archived as described in the study plan. If
these are not transferred to the Study Director, the Principal Investigator should notify the Study
Director when and where they have been archived. During the study, the Principal Investigator
should not dispose of any specimens without the prior written permission of the Study Director.
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Study Personnel
The GLP Principles require that all professional and technical personnel involved in the
conduct of a study have a job description and a record of the training, qualifications and
experience which support their ability to undertake the tasks assigned to them. Where study
personnel are required to follow approved SOPs from another test site, any additional training
required should be documented.
There may be some sites where temporarily employed personnel carry out aspects of study
conduct. Where these persons have generated or entered raw data, or have performed activities
relevant to the conduct of the study, records of their qualifications, training and experience
should be maintained. Where these individuals have carried out routine operations such as
livestock handling subject to supervision by more highly qualified staff, no such personnel
records need be maintained.
QUALITY ASSURANCE
The quality assurance of multi-site studies needs to be carefully planned and organised to
ensure that the overall GLP compliance of the study is assured. Because there is more than one
site, issues may arise with multiple management organisations and Quality Assurance
programmes.
The lead Quality Assurance should liase with test site quality assurance to ensure adequate
quality assurance inspection coverage throughout the study.
Each test site management is usually responsible for ensuring that there is appropriate quality
assurance for the part of the study conducted at their site. Quality assurance at each test site should review
sections of the study plan relating to operations to be 265 conducted at their site. They should
maintain a copy of the approved study plan and study plan amendments.
Quality assurance at the test site should inspect study-related work at their site according to their own
SOPs, unless required to do otherwise by the lead Quality Assurance, reporting any inspection results
promptly in writing to the Principal Investigator, test site management, Study Director, test facility
management and lead Quality Assurance.
Quality assurance at the test site should inspect the Principal Investigators contribution to the study
according to their own test site SOPs and provide a statement relating to the quality assurance activities at
the test site.
MASTER SCHEDULES
A multi-site study in which one or more Principal Investigators have been appointed should feature
on the master schedule of all sites concerned. It is the responsibility of test facility management and test
site management to ensure that this is done.
The unique identification of the study must appear on the master schedule in each site,
crossreferenced as necessary to test site identifiers. The Study Director should be identified on the
master schedule(s), and the relevant Principal Investigator shown on each site master schedule.
At all sites, the start and completion dates of the study phase(s) for which they are responsible should
appear on their master schedule.
STUDY PLAN
For each multi-site study, a single study plan should be issued. The study plan should clearly identify
the names and addresses of all sites involved.
The study plan should include the name and address of any Principal Investigators and the phase of
the study delegated to them. It is recommended that sufficient information is included to permit direct
contact by the Study Director, e.g. telephone number.
The study plan should identify how data generated at sites will be provided to the Study Director for
inclusion in the final report.
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It is useful, if known, to describe in the study plan the location(s) at which the data, samples of test
and reference items and specimens generated at the different sites are to be retained.
It is recommended that the draft study plan should be made available to Principal Investigators for
consideration and acknowledgement of their capability to undertake the work assigned to them, and to
enable them to make any specialised technical contribution to the study plan if required.
The study plan is normally written in a single language, usually that of the Study Director. For
multinational studies it may be necessary for the study plan to be issued in more than one language; this
intention should be indicated in the original study plan, the translated study plan(s) and the original
266 language should be identified in all versions. There will need to be a mechanism to verify the accuracy
and completeness of the translated study plan. The responsibility for the accuracy of the translation can be
delegated by the Study Director to a language expert and should be documented.
This section repeats the most important requirements from the Principles of GLP and
recommendations from the Consensus Document on the Application of the GLP Principles to Field
Studies in order to provide useful guidance for organisation of multi-site studies. These documents should
be consulted for further details.
Facilities
Sites may not have a full time staff presence during the working day. In this situation it may be
necessary to take additional measures to maintain the physical security of the test item, specimens and
data.
When it is necessary to transfer data or any materials among sites, mechanisms to maintain their
integrity need to be established. Special care needs to be taken when transferring data electronically
(email, internet, etc.).
Equipment
Equipment being used in a study should be fit for its intended purpose. This is also applicable to
large mechanical vehicles or highly specialised equipment that may be used at some sites.
There should be maintenance and calibration records for such equipment that serve to indicate their
fitness for intended purpose at the time of use. Some apparatus (e.g., leased or rented equipment such as
large animal scales and analytical equipment) may not have records of periodic inspection, cleaning,
maintenance and calibration. In such cases, information should be recorded in the study-specific raw data
to demonstrate fitness for intended purpose of the equipment.
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Procedures should be in place that will ensure timely delivery of study related materials to sites.
Maintaining integrity/stability during transport is essential, so the use of reliable means of transportation
and chain of custody documentation is critical. Clearly defined procedures for transportation, and
responsibilities for who does what, are essential.
Adequate documentation should accompany each 267 shipment of study material to satisfy
any applicable legal requirements, e.g., customs, health and safety legislation. This documentation should
also provide relevant information sufficient to ensure that it is suitable for its intended purpose on arrival
at any site. These aspects should be resolved prior to shipment.
When study materials are transported between sites in the same consignment it is essential that there
is adequate separation and identification to avoid mix-ups or cross contamination. This is of particular
importance if materials from more than one study are transported together.
Attention should be given to the storage, return or disposal of excess test and reference items being
used at sites.
A single final report should be issued for each multi-site study. The final report should include data
from all phases of the study. It may be useful for the Principal Investigators to produce a signed and dated
report of the phase delegated to them, for incorporation into the final report. If prepared, such reports
should include evidence that appropriate quality assurance monitoring was performed at that test site and
contain sufficient commentary to enable the Study Director to write a valid final report covering the
whole study. Alternatively, raw data may be transferred from the Principal Investigator to the Study
Director, who should ensure that the data are presented in the final report. The final report produced in
this way should identify the Principal Investigator(s) and the phase(s) for which they were responsible.
The Principal Investigators should indicate the extent to which the work for which they were
responsible complies with the GLP Principles, and provide evidence of the quality assurance inspections
performed at that test site. This may be incorporated directly into the final report, or the required details
may be extracted and included in the Study Directors compliance claim and Quality Assurance statement
in the final report. When details have been extracted the source should be referenced and retained.
The Study Director must sign and date the final report to indicate acceptance of responsibility for the
validity of all the data. The extent of compliance with the GLP Principles should be indicated with
specific reference to the OECD Principles of GLP and Regulations with which compliance is being
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claimed. This claim of compliance will cover all phases of the study and should be consistent with the
information presented in the Principal Investigator claims. Any sites not compliant with the OECD
Principles of GLP should be indicated in the final report.
The final report should identify the storage location(s) of the study plan, samples of test and
reference items, specimens, raw data and the final report. Reports produced by Principal Investigators
should provide information concerning the retention of materials for which they were responsible.
Amendments to the final report may only be produced by the Study Director. Where the necessary
amendment relates to a phase conducted at any test site the Study Director should contact the Principal
Investigator to agree appropriate corrective actions. These corrective actions must be fully documented.
268 If a Principal Investigator prepares a report, that report should where appropriate comply with the
same requirements that apply to the final report.
The GLP Principles require that appropriate and technically valid SOPs are established and followed.
The following examples are procedures specific to multi-site studies:
The Principles of GLP require that SOPs should be immediately available to study personnel when
they are conducting activities, regardless of where they are carrying out the work.
It is recommended that test site personnel should follow test site SOPs. When they are required to
follow other procedures specified by the Study Director, for example SOPs provided by the test facility
management, this requirement should be identified in the study plan. The Principal Investigator is
responsible for ensuring that test site personnel are aware of the procedures to be followed and have
access to the appropriate documentation.
If personnel at a test site are required to follow SOPs provided by the test facility management, it is
necessary for test site management to give written acceptance.
When SOPs from a test facility have been issued for use at a test site, test facility management
should ensure that any subsequent SOP revisions produced during the course of the study are also sent to
the test site and the superseded versions are removed from use. The Principal Investigator should ensure
that all test site personnel are aware of the revision and only have access to the current version.
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When SOPs from a test facility are to be followed at test sites, it may be necessary for the SOPs to be
translated into other languages. In this situation it is essential that any translations be thoroughly checked
to ensure that the instructions and meaning of the different language versions remain identical. The
original language should be defined in the translated SOPs.
During the conduct of multi-site studies attention should 269 be given to the temporary storage of
materials. Such storage facilities should be secure and protect the integrity of their contents. When
data are stored away from the test facility, assurance will be needed of the sites ability to readily retrieve
data which may be needed for review.
Records and materials need to be stored in a manner that complies with GLP Principles. When test
site storage facilities are not adequate to satisfy GLP requirements, records and materials should be
transferred to a GLP compliant archive.
Test site management should ensure that adequate records are available to demonstrate test site
involvement in the study.
The Application of the Principles of GLP to in vitro Studies
.
OECD 2004
Applications for permission to reproduce or translate all or part of this material should be made to: Head of Publications Service, OECD, 2 rue
Andr-Pascal, 75775 Paris Cedex 16, France.
This publication was produced within the framework of the Inter-Organization Programme for the Sound Management of
Chemicals (IOMC).
The Inter-Organization Programme for the Sound Management of Chemicals (IOMC) was established in 1995 by
UNEP, ILO, FAO, WHO, UNIDO and the OECD (the Participating Organizations), following recommendations
made by the 1992 UN Conference on Environment and Development to strengthen co-operation and increase
international coordination in the field of chemical safety. UNITAR joined the IOMC in 1997 to become the seventh
Participating Organization. The purpose of the IOMC is to promote co-ordination of the policies and activities
pursued by the Participating Organizations, jointly or separately, to achieve the sound management of chemicals in
relation to human health and the environment.
This publication is available electronically, at no charge.
or contact:
2 rue Andr-Pascal
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Unclassified
Fax: (33-1) 45 24 16 75
E-mail: [email protected]
FOREWORD
As efforts to decrease the use of animals in safety testing are intensifying, in vitro methods are gaining a more prominent
role as alternatives or supplements to in vivo safety testing. Anticipated developments in the fields of toxicogenomics,
toxicoproteomics, toxicometabonomics and in various high through-put screening techniques are expected to enhance the
importance of in vitro methodologies for safety testing, beyond their traditional use as test systems in the area of genetic toxicity
testing. The OECD Working Group on Good Laboratory Practice considered it therefore worthwhile to develop further guidance
specifically of relevance to the application and interpretation of the OECD Principles of GLP 23 to in vitro studies.
275
The Working Group established a Task Force under the leadership of Switzerland, which met in Bern on 12 to 13
February 2004. The Task Force comprised members of the Working Group or experts in in vitro testing nominated by them
representing Belgium, France, Germany, Japan, the Netherlands, Switzerland, the United States and the European Commission.
The draft Advisory Document developed by the Task Force was examined by the Working Group at its 18 th Meeting in May
2004, where it was amended and endorsed. The Chemicals Committee and the Working Party on Chemicals, Pesticides and
Biotechnology at its 37th Joint Meeting in turn endorsed the document and recommended that it be declassified under the
authority of the Secretary-General.
Unclassified ENV/JM/MONO(2
Organisation de Coopration et de Dveloppement Economiques
Organisation for Economic Co-operation and Development 30-Nov
-2
English - O
ENVIRONMENT DIRECTORATE
JOINT MEETING OF THE CHEMICALS COMMITTEE AND
THE WORKING PARTY ON CHEMICALS, PESTICIDES AND BIOTECHNOL
ENV/JM/MONO(2004)26
23 See No. 1 of the Series on Good Laboratory Practice and Compliance Monitoring
AND COMPLIANCE MONITORING
Number 14
GLP HANDBOOK annex Xiv The application of the principle of
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Advisory Document of the Working Group on Good Laboratory Prac
English - Or. English
The Application of the Principles of GLP to in vitro Stud
TO IN VITRO STUDIES
Introduction
Studies involving in vitro test systems have long been used to obtain data on the safety of chemicals
276 with respect to human health and the environment. National legislation usually requires that these studies
be conducted in accordance withJT00174939
Good Laboratory Practice (GLP) requirements.24
Document complet disponible sur OLIS dans son format dorigine
Traditionally in vitro methods have been mainly used in the area of genetic toxicity testing, where
Complete document available on OLIS in its original format
the hazard assessment is based to a large extent on data derived from studies using in vitro test systems.
As efforts to decrease the use of animals in safety testing are intensifying, in vitro methods are gaining a
more prominent role as alternatives or supplements to in vivo safety testing. Furthermore, developments in
the area of toxicogenomics, toxicoproteomics, toxicometabonomics and various (e.g., micro-array) high
through-put screening techniques will also enhance the importance of in vitro methodologies for safety
testing.
The requirement that safety studies be planned, conducted, recorded, reported and archived in
accordance with the OECD Principles of Good Laboratory Practice (hereafter the GLP Principles) does
not differ for different study types. Therefore, the GLP Principles and the associated Advisory
Documents25 describe requirements for and provide general guidance on the conduct of all nonclinical
health and environmental safety studies, including in vitro studies. In order to facilitate the application and
interpretation of the GLP Principles in relation to the specific in vitro testing situation, further clarification
and guidance was considered useful.
The purpose of this document is to facilitate the proper application and interpretation of the GLP
Principles for the organisation and management of in vitro studies, and to provide guidance for the
appropriate application of the GLP Principles to in vitro studies, both for test facilities (management, QA,
study director and personnel), and for national GLP compliance monitoring authorities.
This Advisory Document intends to provide such additional interpretation of the Principles and
guidance for their application to in vitro studies carried out for regulatory purposes. It is organised in such
a way as to provide easy reference to the GLP Principles by following the sequence of the different parts
of these GLP Principles.
Scope
This document is specific to the application of the Principles of GLP to in vitro studies
conducted in the framework of non-clinical safety testing of test items contained in
pharmaceutical products, pesticide products, cosmetic products, veterinary drugs as well as food
additives, feed additives, and industrial chemicals. These test items are frequently synthetic
chemicals, but may be of natural or biological origin and, in some circumstances, may be living
organisms. The purpose of testing these test items is to obtain data on their properties and/or
their safety with respect to human health and/or the environment.
277
Definitions
a) In vitro Studies
in vitro studies are studies which do not use multicellular whole organisms, but rather microorganisms or
material isolated from whole organisms, or simulations thereof as test systems.
Many in vitro studies will qualify as short-term studies under the definition provided by the GLP
Principles. For these studies, the OECD Advisory Document on The Application of the GLP
Principles to Short-Term Studies should be consulted and used as appropriate, in order to allow
for the application of the provisions facilitating the work of Study Director and QA.
b) Reference Item
Test guidelines for in vitro studies mandate in many cases the use of appropriate positive,
negative and/or vehicle control items which may not serve, however, as the GLP definition of
reference items implies, to grade the response of the test system to the test item, but rather to
control the proper performance of the test system. Since the purpose of these positive, negative
and/or vehicle control items may be considered as analogous to the purpose of a reference item,
the definition of the latter may be regarded as covering the terms positive, negative, and/or
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vehicle control items as well. The extent to which they should be analytically characterized
may, however, be different from the requirements of reference items.
Responsibilities
Most of the responsibilities of test facility management are of a general nature and are equally
applicable to in vivo and in vitro studies, such as the requirements that test facility management
has to ensure the availability of qualified personnel, and of appropriate facilities and equipment
for the timely and proper conduct of the study. However, test facility management should be
aware that in vitro testing may influence the execution of some of their responsibilities For
example, test facility management must ensure that personnel clearly understand the functions
they are to perform. For in vitro studies this may entail ensuring that specific training is
provided in aseptic procedures and in the handling of biohazardous materials. in vitro testing
may also necessitate the availability of specialized areas and the implementation of procedures
to avoid contamination of test systems. Another example is provided by the requirement that test
facility management should ensure that test facility supplies meet requirements appropriate to
their use in a study. Certain in vitro studies may necessitate the use of proprietary materials or
test kits. Although the OECD Advisory Document on Compliance of Laboratory Suppliers with
GLP Principles states that materials to be used in a GLP compliant study should be produced
and tested for suitability using an adequate quality system, thus placing the primary
responsibility for their suitability on the manufacturer or supplier, it is the responsibility of the
test facility management to confirm that these conditions are adequately fulfilled through
assessment of the suppliers practices, procedures and policies.
The general responsibilities of the Study Director are independent of the type of study and the
responsibilities listed in the Principles apply to in vitro studies as well. The study director continues to be
the single point of study control and has the responsibility for the overall conduct and reporting of the
study.
In in vitro studies the Study Director should pay particular attention to documenting the justification and
characterization of the test system, an activity which may be more difficult to accomplish for in vitro
studies. See the section on Test Systems, below, regarding the documentation required to justify and
characterize the test system. In in vivo studies these activities have been rather straightforward. For
example, the use of a particular species may be justified by documenting the characteristics of that species
that make it an appropriate model for assessing the effect of interest. Characterization of a particular
animal may be accomplished by simply documenting the animal species, strain, substrain, source of
supply, number, body weight range, sex, and age.
These required activities may be more difficult to accomplish for in vitro studies:
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Justification of the test system may require that the Study Director document that the test method has been
validated or is structurally, functionally, and/or mechanistically similar to a validated reference test
method. Prior to the use of new test methods that are structurally, functionally and/or mechanistically
similar to a validated reference test method, the Study Director should therefore provide documented
evidence that the new test method has comparable performance when evaluated with appropriate
reference items.
Characteristics of in vitro systems may also be difficult to document. Although the Study Director may be
able, with the assistance of the supplier, to document some characteristics of the test system (e.g., cell
line, age/passage, origin) he/she should also characterize the test system by documenting that the test
system provides the required performance when evaluated with appropriate reference items, including
positive, negative, and untreated and/or vehicle controls, where necessary. A special case may be seen in
the use of proprietary materials or test kits in the conduct of in vitro studies. While the performance of
such materials or test kits should be assured by the supplier, producer or patent holder, and while the test
facility management is responsible for ensuring that the supplier meets the quality criteria as mentioned
above, e.g., by reviewing vendor practices, procedures and policies, it is the responsibility of the Study
Director to ensure that the performance of these materials or kits indeed meets the requirements of the
study, and to ensure that test kits have been adequately validated and are suitable for their intended
purpose. Since the quality and reliability of study results will be influenced directly by the quality and
performance of these materials or test kits, it is especially important that the completeness and
acceptability of the quality control documentation provided by the supplier should be thoroughly
examined and critically evaluated by the Study Director. At a minimum, the Study Director should be able
to judge the appropriateness of the quality system used by the manufacturer, and have available all
documentation needed to assess the fitness for use of the test system, e.g., results of performance studies.
c) Study Personnel
Personnel should meticulously observe, where applicable, the requirements for aseptic conditions and
follow the respective procedures in the conduct of in vitro studies to avoid pathogen contamination of the
test system. Similarly, personnel should employ adequate 279 practices (see Sources for Further
Information, ref 1) to avoid cross-contamination between test systems and to ensure the integrity of the
study. Study personnel should be aware of, and strictly adhere to, the requirements to isolate test systems
and studies involving biohazardous materials. Appropriate precautions to minimize risks originating from
the use of hazardous chemicals should be applied during in vitro studies as well.
Quality Assurance
In general, Quality Assurance (QA) activities will not be greatly different between in vitro and in vivo
studies. in vitro studies may qualify in certain cases for treatment under the conditions of short-term
studies; in these cases, the OECD Advisory Document on The Application of the GLP Principles to
ShortTerm Studies will be applicable. Thus, such studies may be inspected, if applicable and permitted by
national regulations, by QA on a process-based inspection programme. Since the GLP Principles require
QA to inspect especially the critical phases of a study, it is important that, in the case of in vitro studies,
QA is well aware of what constitutes critical phases (and critical aspects) of such studies. Corresponding
guidance for QA inspections should be developed in co-operation with Study Directors, Principal
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Investigators and study personnel in the relevant areas. Since the QA programme should, wherever
indicated, explicitly cover specific aspects of in vitro testing, education and training of QA personnel
should also be explicitly directed towards the ability to recognise potential problems in specific areas of
in vitro testing. Specific areas to be inspected may include, but not be limited to, the procedures and
measures for:
monitoring of batches of components of cell and tissue culture media that are critical to the performance
of the test system (e.g. foetal calf serum, etc.) and other materials with respect to their influence on test
system performance;
assessing and ensuring functional and/or morphological status (and integrity) of cells, tissues and other
indicator materials;
monitoring for potential contamination by foreign cells, mycoplasma and other pathogens, or other
adventitious agents, as appropriate;
cleaning and decontamination of facilities and equipment and minimizing sources of contamination of test
items and test systems;
Facilities
a) General
280 The GLP Principles mandate that test facilities should be suitable to meet the requirements of the studies
performed therein, and that an adequate degree of separation should be maintained between different
activities to ensure the proper and undisturbed conduct of each study. Due to the fact that in vitro studies
generally occupy only limited workspace and do not normally require dedicated facilities that exclude the
performance of other studies, measures should be taken to ensure the appropriate separation of in vitro
studies co-existing in the same physical environment.
The GLP Principles require that a sufficient number of rooms or areas should be available to ensure the
isolation of test systems, and that such areas should be suitable to ensure that the probability of
contamination of test systems is minimized. The term areas, however, is not specifically defined and its
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interpretation is therefore adaptable to various in vitro situations. The important aspect here is that the
integrity of each test system and study should not be jeopardised by the possibility of potential
contamination or crosscontamination or mix-up.
In this way it may be possible to incubate cells or tissues belonging to different studies within the same
incubator, provided that an adequate degree of separation exists (e.g., appropriate identifiers, labelling or
separate placement to distinguish between studies, etc.), and that no test item is sufficiently volatile so as
to contaminate other studies that are co-incubated.
Separation of critical study phases may be possible not only on a spatial, but also on a temporal basis.
Manipulation of cell and tissue cultures, e.g., subcultivation procedures, addition of test item, etc., is
normally performed in vertical laminar flow cabinets to assure sterility and to protect the test system as
well as study personnel and the environment. Under these circumstances, adequate separation to prevent
cross-contamination between different studies will be achieved by sequential manipulation of the test
systems used in the individual studies, with careful cleaning and decontamination/sterilization of the
working surfaces of the cabinet and of related laboratory equipment performed between the different
activities, as necessary.
Another important aspect is the availability of devoted rooms or areas with special equipment for the
longterm storage of test systems. The equipment, including storage containers, should provide adequate
conditions for maintenance of long-term integrity of test systems.
c) Facilities for Handling Test and Reference Items
While the requirements of the GLP Principles for handling test and reference items apply equally to in
vitro tests as far as the prevention of cross-contamination by test and reference items is concerned, another
aspect needs to be taken into account: Since sterility is an important consideration in in vitro studies it
should be ensured that rooms or areas used for preparation and mixing of test and reference items with
vehicles be equipped so as to allow working under aseptic conditions, and thus protecting the test system
and the study by minimizing the probability of their contamination by test and reference item
preparations.
While the commonly observed, routine requirements for apparatus used in a GLP compliant
environment apply equally to apparatus used for in vitro 281 studies, there are some specific
points and issues of particular importance. As an example, it may be of importance for the integrity and
reliability of some in vitro studies to ensure that the proper conditions of certain equipment, like
microbalances, micropipettes, laminar air flow cabinets or incubators are regularly maintained, and
monitored and calibrated where applicable. For specific equipment, critical parameters should be
identified requiring continuous monitoring or the setting of limit values together with installation of
alarms.
The requirements in the GLP Principles for reagents with respect to labelling and expiry dates apply
equally to those used for in vitro studies.
GLP HANDBOOK annex Xiv The application of the principle of
GLP to in vitro studies
Test Systems
in vitro test systems are mainly biological systems, although some of the more recent developments in
alternatives to conventional in vivo testing (e.g., gene arrays for toxicogenomics) may also exhibit some
attributes of physical-chemical test systems, and still others, e.g., toxicometabonomics, may mainly rely
on analytical methodology. Test kits, including proprietary test kits, should also be considered as test
systems.
As for any other biological test systems, adequate conditions should be defined, maintained and monitored
to ensure the quality and integrity of the test system. during storage and within the study itself. This
includes the documented definition, maintenance and monitoring of the viability and responsiveness of
the test system, including recording of cell passage number and population doubling times. Records
should also be kept for environmental conditions (e.g., liquid nitrogen level in a liquid nitrogen
cryostorage system, temperature, humidity and CO2 concentration in incubators, etc.) as well as for any
manipulation of the test system required for the maintenance of its quality and integrity (e.g., treatment
with antibiotics or antifungals, subcultivation, selective cultivation for reducing the frequency of
spontaneous events). Since maintenance of the proper environmental conditions during the storage of test
systems may influence data quality to a greater degree than for other biological systems, these records
may be of special importance in the maintenance of data quality and reliability.
Documentation obtained from the supplier of in vitro test systems (e.g., origin, age/passage number, cell
doubling time and other relevant characteristics that help identify the test system) should be reviewed and
retained in the study records. Predefined criteria should be used to assess the viability, suitability (e.g.
functional and/or morphological status of cells and tissues, testing for known or suspected microbial or
viral contaminants) and responsiveness of the test system. Results of such evaluations should be
documented and retained in the study records. If no such assessment is possible, as, e.g., with primary cell
cultures or reconstituted organs, a mechanism should exist between the supplier and the user to
ascertain and document the suitability of the test system. Monitoring and recording performance against
negative and positive control items may constitute sufficient proof for the responsiveness of a given test
system. Any problems with the test system that may affect the quality, validity and reliability of the study
should be documented and discussed in the final report. Problems with vendor-supplied test systems
should be brought to the attention of the vendor and corrective measures sought.
282
c) Test System Records
The GLP Principles require that records be maintained of source, date of arrival and arrival condition of
test systems; for cells and tissues these records should include not only the immediate source (e.g.,
annex Xiv The application of the principle of GLP to
in vitro studies GLP HANDBOOK
commercial supplier), but also the original source from where the cells or tissues have been derived (e.g.,
primary cells or tissues with donor characteristics; established cell lines from recognized sources, etc.).
Other information to be maintained should include, but not be limited to, the method by which cells or
tissues were originally obtained (e.g., derived from tissue explants, biopsies of normal or cancer tissues,
gene transfer by plasmid transfection or virus transduction, etc.), chronology of custody, passage number
of cell lines, culture conditions and subcultivation intervals, freezing/thawing conditions, etc. For
transgenic test systems, it is necessary, in addition, to ascertain the nature of the transgene and to monitor
maintenance of expression with appropriate controls.
Special attention should be paid to the proper labelling of test systems during storage and use, which
includes measures to ensure the durability of labelling. Especially where the size of containers and the
conditions of storage (e.g., cryovials in liquid nitrogen, multiple test systems stored in one container) may
be critical factors for labelling, measures should be in place to ensure the correct identification of test
systems at all times.
The requirements in the OECD Principles of GLP for test items and reagents with respect to labelling and
expiry dates apply equally to test kits used as in vitro test systems. Test kits, whether used as test systems
or in any other way, e.g., for analytical purposes, should have an expiry date. Extending this expiry date
can be only acceptable on the basis of documented evaluation (or analysis). For test kits used as test
systems, such documented evaluation may, e.g., consist of the historical record of observed responses
obtained with the respective batch of the test kit to positive, negative and/or vehicle control items, and
proof that, even after the expiry date, the response did not deviate from the historical control values. A
documented decision of the Study Director as to the extension of the expiry date should provide evidence
for this evaluation process.
In order to avoid possible confusion, the nomenclature for the test systems should be clearly defined, and
test system labels as well as all records obtained from individual studies should bear the formally accepted
designation of the test system.
Test and Reference Items (including Negative and Positive Control Items)
In general, there are no specific requirements for receipt, handling, sampling, storage and characterisation
for test and reference items that are used in studies utilising in vitro test systems besides those listed in the
GLP Principles. Aseptic conditions may, however, be required in their handling to avoid microbial
contamination of test systems.
For negative, vehicle and positive control items, it may or may not be necessary to determine
concentration and homogeneity, since it may be sufficient to provide evidence for the correct, expected
response of the test system to them.
The expiry date of such control items may also be extended by documented evaluation or analysis. Such
evaluation may consist of documented evidence that the 283 response of the respective test
systems to these positive, negative and/or vehicle control items does not deviate from the
historical control values recorded in the test facility, which should furthermore be comparable to published
reference values.
GLP HANDBOOK annex Xiv The application of the principle of
GLP to in vitro studies
In addition to the examples cited in the GLP Principles (see section 7.4.1 7.4.5) there are activities and
processes specific to in vitro testing that should be described in Standard Operating Procedures. Such
SOPs should therefore be additionally available for, but not be limited to, the following illustrative
examples for test facility activities related to in vitro testing.
a) Facilities
Environmental monitoring with respect to pathogens in the air and on surfaces, cleaning and disinfection,
actions to take in the case of infection or contamination in the test facility or area.
b) Apparatus
Use, maintenance, performance monitoring, cleaning, and decontamination of cell and tissue culture
equipment and instruments, such as laminar-flow cabinets and incubators; monitoring of liquid nitrogen
levels in storage containers; calibration and monitoring of temperature, humidity and CO2-levels in
incubators.
Evaluation of suitability, extension of expiry dates, assessment and maintenance of sterility, screening for
common pathogen contaminants; description of procedures for choice and use of vehicles; verification
procedures for compatibility of vehicles with the test system.
d) Test Systems
Conditions for storage and procedures for freezing and thawing of cells and tissues, testing for common
pathogens; visual inspection for contaminations; verification procedures (e.g., use of acceptance criteria)
for ensuring properties and responsiveness on arrival and during use, whether immediately after arrival or
following storage; morphological evaluation, control of phenotype or karyotype stability, control of
transgene stability; mode of culture initiation, culture conditions with subcultivation intervals; handling of
biohazardous materials and test systems, procedures for disposal of test systems.
Aseptic techniques, acceptance criteria for study validity, criteria for assay repetitions.
f) Quality Assurance
The GLP requirements for the performance of in vitro studies are identical to those provided for the more
conventional safety studies. In many cases, the OECD Advisory Document on The Application of the GLP
Principles to Short-Term Studies may be consulted in combination with the OECD GLP Principles in
order that in vitro studies may be conducted in a GLP compliant way.
There are a number of issues specific to in vitro testing that should be addressed in the study plan as well
as in the final study report. These issues, however, are mainly of a scientific, technical nature, such as the
(scientific) requirement that any internal controls (appropriate positive, negative, and untreated and/or
vehicle controls), carried out in order to control bias and to evaluate the performance of the test system,
should be conducted concurrently with the test item in all in vitro studies. More specific guidance as to
what topics should be addressed in the study plan and the final report will be found in the respective
OECD test guidelines or other appropriate references.
The general retention requirements of the GLP Principles apply to in vitro studies as well. Additionally, it
should be considered to retain samples of long-term preservable test systems, especially test systems of
limited availability (e.g., special subclones of cell lines, transgenic cells, etc.), in order to enable
confirmation of test system identity, and/or for study reconstructability.
Retention of samples of test item should be considered also for such in vitro studies which can be
categorised as short-term studies, especially in cases where in vitro studies constitute the bulk of safety
studies.
Records of historical positive, negative, and untreated and/or vehicle control results used to establish the
acceptable response range of the test system should also be retained.
Glossary of Terms
Within the context of this document the following definitions are used:
Aseptic conditions: Conditions provided for, and existing in, the working environment under which the
potential for microbial and/or viral contamination is minimized.
Cell lines: Cells that have undergone a genetic change to immortalization and that, in consequence, are
able to multiply for extended periods in vitro, and can be expanded and cryopreserved as cell bank
deposits. A continuous cell line is generally more homogeneous, more stable, and thus more reproducible
than a heterogeneous population of primary cells.
Control, negative: Separate part of a test system treated with an item for which it is known that the test
system should not respond; the negative control provides evidence that the test system is not responsive
under the actual conditions of the assay.
Control, positive: Separate part of the test system treated with 285 an item the response to which is
known for the test system; the positive control provides evidence that the test system is responsive under
the actual conditions of the assay.
GLP HANDBOOK annex Xiv The application of the principle of
GLP to in vitro studies
Control, untreated: Separate untreated part of a test system that is kept under the original culture
conditions; the untreated control provides baseline data of the test system under the conditions of the
assay.
Control, vehicle: Separate part of a test system to which the vehicle for the test item is added; the vehicle
control provides evidence for a lack of influence of the chosen vehicle on the test system under the actual
conditions of the assay.
Critical phases: Individual, defined procedures or activities within a study, on the correct execution of
which the study quality, validity and reliability is critically dependent.
Cross-contamination: Contamination of a test item by another test item or of a test system by another test
item or by another test system that is introduced inadvertently. and taints the test item or impairs the test
system.
Cryopreservation: Storage of cells and tissues by keeping them frozen under conditions where their
viability is preserved.
Cryovial: Special vial used for cryopreservation. A cryovial has to satisfy special conditions such as
tightness of closure even at extremely low temperatures and extreme temperature changes encountered
during freezing and thawing.
Ex vivo: Cells, tissues, or organs removed for further analysis from intact animals.
Gene transfection: The introduction of foreign, supplemental DNA (single or multiple genes) into a host
cell.
High through-put screening: The use of miniaturized, robotics-based technology to screen large compound
libraries against an isolated target gene, protein, cell, tissue, etc. to select compounds on the basis of
specific activities for further development.
Micro-arrays: Sets of miniaturized chemical reaction areas arranged in an orderly fashion and spotted
onto a solid matrix such as a microscope slide. A DNA microarray provides a medium for matching
known and unknown DNA samples based on base-pairing rules and allows for the automation of the
process of identifying unknown DNA samples for use in probing a biological sample to determine gene
expression, marker pattern or nucleotide sequence of DNA/RNA.
Primary cells: Cells that are freshly isolated from animal or plant sources. Freshly isolated primary cells
may rapidly dedifferentiate in culture, and they often have a limited lifespan. Primary cultures isolated
from animals or humans may represent heterogeneous populations with respect, for example, to
differences in cell types and states of differentiation depending on purification techniques used. Each
isolate will be unique and impossible to reproduce exactly. Primary cell cultures commonly require
complex nutrient media, supplemented with serum and other components. Consequently, primary cell
culture systems are extremely difficult to standardise.
Proprietary material: Material protected by (patent, copyright, or trademark) laws from illicit use.
286 Test kit: Ready-to-use compilation of all components necessary for the performance of an assay, test or
study.
Tissues: Multicellular aggregates of differentiated cells with specific function as constituents of
organisms.
annex Xiv The application of the principle of GLP to
in vitro studies GLP HANDBOOK
Toxicogenomics: The study of how genomes respond to environmental stressors or toxicants. The goal of
toxicogenomics is to find correlations between toxic responses to toxicants and changes in the genetic
profiles of the objects exposed to such toxicants. Toxicogenomics combines the emerging technologies of
genomics and bioinformatics to identify and characterize mechanisms of action of known and suspected
toxicants. Currently, the premier toxicogenomic tools are the DNA microarray and the DNA chip, which
are used for the simultaneous monitoring of expression levels of hundreds to thousands of genes.
Toxicometabonomics: The quantitative measurement of the time-related multiparametric metabolic
response of living systems to pathophysiological stimuli or genetic modification by the systematic
exploration of biofluid composition using NMR/pattern recognition technology in order to associate target
organ toxicity with NMR spectral patterns and identify novel surrogate markers of toxicity.
Toxicoproteomics: The study of how the global protein expression in a cell or tissue responds to
environmental stressors or toxicants. The goal of toxicoproteomics is to find correlations between toxic
responses to toxicants and changes in the complete complements of proteins profiles of the objects
exposed to such toxicants.
Transgenic cells: Cells transfected with one or more foreign gene(s) which consequently express
characteristics and functions that are normally not present, or at low expression levels only, in the parental
cell.
Sources for Further Information on in vitro Testing
Webpages of:
3. ECVAM
http://ecvam.jrc.it/index.htm 287
4. ICCVAM
http://iccvam.niehs.nih.gov/
Unclassified
The Organisation for Economic Co-operation and Development (OECD) is an intergovernmental organisation in
which representatives of 30 industrialised countries in North America, Europe and the Asia and Pacific region, as well as
ENV/JM/MONO(2007)10
OECD SERIES ON PRINCIPLES OF GOOD LABORATORY PRACTICE
AND COMPLIANCE
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World WideEstablishment and Control of Archives that Operate
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292
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FOREWORD
The OECD Working Group on Good Laboratory Practice, at its 17 th meeting in 2003, established a drafting group
under the leadership of the Netherlands (Mr. Theo Helder), with participation by Germany, Italy, Sweden, Switzerland
the United Kingdom and the United States. After reviewing existing material on archiving in a GLP environment, the
group develop a first draft document, which was reviewed by the Working Group at its 20 th meeting in 2006.
The Working Group agreed that it would circulate the draft for comment to stakeholders in industry and receiving
authorities and that Members would prepared consolidated 293 national comments. Comments were received
from Australia, Belgium, Denmark, Finland, Germany, Ireland, Israel, Italy, Japan, Korea, Netherlands,
Slovenia, Spain, Sweden, Switzerland, and United States. The Working Group then reviewed, amended and endorsed a
revised version of the document at its 21st Meeting in 2007.
The Joint Meeting of the Chemicals Committee and Working Party on Chemicals, Pesticides and Biotechnology
endorsed the document on 25 May 2007and agreed that it be declassified and published in the OECD series on GLP and
Compliance Monitoring as an Advisory Document of the Working Group on GLP.
TABLE OF CONTENTS
1. INTRODUCTION. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 296
2. SCOPE . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 296
3. DEFINITION OF TERMS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 285
4. ROLES & RESPONSIBILITIES . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 298
4.1 Sponsor . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 298
4.2 Test Facility Management . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 298
4.3 Archive Contracting Facility . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 298
4.4 Test Site Management . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 298
4.5 Study Director . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 299
4.6 Principal Investigator . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 299
4.7 Archivist . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 299
294
4.8 Information Technology (IT) Personnel . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 299
4.9 Quality Assurance (QA) Personnel . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 299
5. ARCHIVE FACILITIES . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 300
5.1 Archive Conditions . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 300
5.2 Disaster Recovery . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 301
6. SECURITY . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 301
6.1 Physical and Operational Security . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 301
6.2 Access to the Archive . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 301
7. ARCHIVING PROCEDURES . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 302
7.1 Standard Operating Procedures . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 302
7.2 Records and Materials to be retained . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 302
7.3 Indexing . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 303
7.4 Placement of Records and Materials into the Archives . . . . . . . . . . . . . . . . . . . . . . . . . . . . 303
7.5 Transfers . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 303
7.6 Retention Period . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 304
7.7 Retrieval . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 304
7.8 Disposal of Records and Materials . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 305
8. ARCHIVING ELECTRONIC RECORDS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 306
8.1 Decision to Retain Records Electronically . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 306
8.2 Storage Media . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 306
8.3 Defined Archive Area on a Computerised System . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 306
8.4 Dedicated Electronic Archive System . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 306
8.5 Maintenance and Preservation of Electronic Records . . . . . . . . . . . . . . . . . . . . . . . . . . . . 307
GLP HANDBOOK annex Xv Establishment and control of archives
that operate in ...
1. INTRODUCTION
The archiving of records and materials generated during the course of a non-clinical health or
environmental safety study is an important aspect of compliance with the Principles of Good Laboratory
Practice (GLP). The maintenance of the raw data associated with a specific study and the specimens
generated from that study are the only means that can be used to reconstruct the study, enabling the
information produced in the final report to be verified and the compliance with GLP of a specific study to
be confirmed.
The purpose of the guidance contained in this document is to assist in conforming to the
296 requirements of the OECD Principles of Good Laboratory Practice as they relate to archiving.
This guidance does not supersede any requirement set out in national regulations and/or legislation,
e.g. pertaining to the timeliness of archiving or retention periods.
2. SCOPE
This document is intended for use by test facilities that are required to operate in compliance with the
Principles of GLP, for organisations that supply support, e.g. contract archives, contract quality assurance
units or IT services and for sponsors, GLP compliance monitoring authorities and receiving authorities.
Organisations should ensure that they evaluate applicable regulatory requirements against their
business needs. Certain aspects of archive construction and operation may have implications for
compliance with building regulations or legislation regarding public health and safety. Guidance on these
aspects is outside the scope of this document.
Test facilities and other organisations, engaged in archiving GLP records and material, might benefit
from the use of recognised archiving management standards including those concerning metadata.
3. DEFINITION OF TERMS
Archive: A designated area or facility (e.g. cabinet, room, building or computerised system) for the secure
storage and retention of records and materials.
GLP HANDBOOK annex Xv Establishment and control of archives
that operate in ...
Archive Staff: Individuals who work under the supervision of the archivist and who are responsible for
the routine archive operations.
Archivist: An individual designated by test facility or test site management to be responsible for the
management of the archive, i.e. for the operations and procedures for archiving.
Electronic archives: Facilities and systems provided to maintain electronic records as required by the
Principles of GLP.
Electronic record: All original laboratory records and documentation, including data directly entered into
a computer through an instrument interface, which are the results of original observations and
activities in a study and which are necessary for the reconstruction and evaluation of the report of
that study.
Metadata: Data that describe the attributes of other data. Most commonly these are data that describe the
structure, data elements, inter-relationships and other 297 characteristics of electronic records.
Migration: The transfer of electronic records from one format, media or computerised system to another.
System Owner: The manager, or designee, of the department that is most impacted by, or is the primary
user of, the system.
4.1 Sponsor
The sponsor is assumed to play an active role in confirming that all non-clinical health and
environmental safety studies are conducted in compliance with GLP.
The sponsor therefore should ensure that materials and records in support of regulatory studies are
retained and maintained under conditions that ensure their integrity and continued access. Also if records
and materials are transferred into the sponsors possession, storage should be in archives that meet the
requirements of the Principles of GLP. The sponsor should also ensure that such material and records are
retained for as long as required by relevant authorities. The archive and retained materials and records
should be available for inspection during normal office hours. If electronic records are kept, it should be
possible to make them available in human readable form.
Test facility management is responsible for the provision of archive facilities. Test facility
management is also responsible for the appointment of an individual and, if necessary, additional archive
staff for the operation of the archives. A back-up archivist should also be appointed to perform the duties
annex Xv Establishment and control of archives that operate in
... GLP HANDBOOK
of the archivist in the event that the archivist is unable or unavailable to perform the archivists duties.
These appointments should be documented. When appointing the archivist and the back-up archivist, test
facility management should avoid possible conflicts of interest through incompatibilities of functions.
Test facility management should ensure that the records and materials generated in the test facility
that are necessary to reconstruct studies, and the documentation required to demonstrate the GLP
compliance of the test facility, are archived.
Test facility management should ensure that appropriate archiving procedures are established.
Test facility management should ensure that only selected authorised personnel shall have access to
the archive(s). Access should be controlled and the accessing procedure should be documented. Security
and technical personnel should be granted access only when necessary (e.g. in case of emergencies) also
in a controlled and documented manner.
Test facility management might be expected to inform sponsors on GLP requirements and the
responsibilities of the sponsor regarding archiving where necessary.
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4.3 Archive Contracting Facility
If a sponsor or test facility management uses a contract archive for the storage of records and/or
materials for a GLP study, the contracting parties should ensure compliance with the relevant sections of
the Principles of GLP.
Test site management has the same responsibilities as test facility management with regards to
archive facilities and procedures at their own site.
The Study Director is responsible for ensuring that during or immediately after completion
(including termination) of a study, all study related records and materials are transferred to the archive(s).
The Study Director is responsible for the completeness of the study records and materials and for assuring
that all materials are archived before or at the close of the study.
A Principal Investigator should ensure that records and materials for which he/she is responsible are
sent to the Study Director, or transferred to an agreed archive location latest upon completion of the study
or phase of the study. The Principle Investigator should inform the Study Director about the date of
transfer or archiving.
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4.7 Archivist
The archivist is responsible for the management, operations and procedures for archiving in
accordance with established Standard Operating Procedures, and the Principles of GLP.
ensure that the orderly storage and retrieval of records and materials is facilitated by a system of
indexing; and
ensure that movement of records and materials in and out of the archives is properly controlled and
documented
Where there is a need for several staff to perform archiving duties, staff should work under the
direction and supervision of the designated archivist. It is recognized that in certain circumstances it may
be necessary for the archivist to delegate specific archiving tasks, for example management of electronic
record. Respective tasks, duties and responsibilities have to be specified and detailed in SOPs.
QA personnel are responsible for inspecting all aspects of archiving for compliance with the
Principles of GLP. This includes the inspection of archiving operations and procedures, including
procedures for electronic records, facilities, stored records and materials.
5. ARCHIVE FACILITIES
The archive facility should be suitably designed and constructed to accommodate the archived
records and materials. This may be one or more buildings, rooms, safes or lockable cabinets or other
locations that provide suitable security. The archive facility should be physically secure to prevent
unauthorised access to the retained records and materials. The use of locks or electronic entry systems is
required. The components that provide storage of unique electronic records should also be physically
secure. The computerised archive facility should have processes to prevent unauthorised access and virus
protection.
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The building(s) or room(s) that house the archive should be constructed to withstand the elements of
local weather, etc. Consideration may need to be given to specific local conditions such as a risk of
flooding. The archive design should protect the contents from untimely deterioration for example by
leakage of running water pipes in the archive areas. The risk of fire and explosion should be minimised. In
most circumstances it will be necessary that an automated fire and/or smoke detection system be installed.
Management may also consider an automated fire suppression system that minimises the risk of damage.
If there is a risk of flooding, a water detector and/or water drain should be considered.
The archive facility should be designed to prevent the entry of rodent and insect pests. Where
300 appropriate, pest control procedures should be in place.
Where necessary, back-up electrical power should be provided for all temperature-critical equipment
(e.g., refrigerators and freezers).
Storage conditions should be designed to preserve and not adversely affect the quality and integrity
of retained records and materials. Special storage conditions may be required to maintain the integrity of
some retained record(s) and material(s) for the specified retention period(s). For example, it might be
appropriate to store wet tissues, blocks and reserve samples of test items separate from paper and
histology slides.
Special storage conditions may be required for particular materials. Examples are materials required
to be stored frozen, refrigerated, desiccated, etc., or free from dust or magnetic interference in the case of
electronic media. The need for special storage conditions should be defined in relevant test facility
Standard Operating Procedures.
If special storage conditions have been defined, environmental monitoring procedures should be
implemented within archive storage areas to confirm that specified conditions of storage are being
achieved.
Where continuous (automated) monitoring systems are used (which may also act as alarms that are
activated in the event that defined conditions are outside specified limits), these systems should be
regularly maintained, tested, and verified, and records thereof retained, as required by the Principles of
GLP.
Test facilities and contract archives should have procedures in place to minimise damage to archived
records and materials caused by adverse events. Some of the more common adverse events to be
considered include fire, electrical failure, extreme weather-related damage, flooding, theft, and sabotage.
The procedures may cover protective measures that may be implemented, as well as the recovery
and/or restoration of lost or damaged records and materials and re-establishment of security. The plan
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should include useful and emergency contacts, the location of necessary equipment, and the records that
should be made (e.g., documentation of the event and the steps taken to resolve and/or restore).
6 . SECURITY 301
The archive facility should be both physically and operationally secure to prevent unauthorised
access and changes to or loss of retained records and materials. Test facility management should ensure
security by implementing appropriate measures that should be described in the test facilitys SOPs.
The security controls necessary to restrict access to electronic records will usually be different from
those applied to other record types. Since many electronic storage media can be re-used (e.g. overwritten),
measures should be implemented to ensure that records cannot be altered or deleted.
With normal archive operations, access to the archive should be controlled by and restricted to the
archivist and archive staff. For emergency access (especially during off-hours or for safety reasons),
emergency personnel may enter and/or operate the archive unaccompanied. Otherwise visitors should be
accompanied by the archivist or a member of the archive staff. The procedures for access to archive
storage areas should be documented. The record of such visits should be retained. For electronic archives
the above mentioned restrictions might not be applicable, but as a minimum deletion or alteration of
electronic records in electronic archives should be avoided. Management might authorise read-only access
on electronic records to a broader community.
7. ARCHIVING PROCEDURES
The following issues should be addressed in the Archive Standard Operating Procedures, where
applicable:
Materials to be retained include wet tissues, paraffin blocks, specimens, slides, smears, test materials/
retention samples, etc. Records and materials may be study-specific, or relate to more than one study.
These are the records and materials generated during the conduct of a single study in accordance
with the study plan. The Study Director is responsible for ensuring these records and materials are
transferred to the archives latest after study completion. These records may be inspected for verification of
the results reported from a specific study and for the general assessment of the compliance of the study
with Principles of GLP. The following are examples of study-specific records and materials that should be
retained in the archives.
Study plan, raw data, and the final report of each study.
Other study related documents and communication such as e.g. delivery receipts, phone notes, faxes
etc.
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Samples of test and reference items.
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Specimens.
Certificates of Analysis.
These are records and materials that are generated by a test facility/site, and may be specific to one or
more studies performed at the facility/site. Such records and materials may be inspected for the
reconstruction of a study and for the general assessment of the continuing compliance of a test facility
with Principles of GLP. Management should address in an SOP how and by whom the archiving of these
records and materials should be carried out.
The following are examples of facility records and materials that should be retained:
7.3 Indexing
The Principles of GLP require that records and materials retained in the archives be indexed so as to
facilitate orderly storage and rapid retrieval. The system of indexing employed should facilitate the
retrieval of all information required to reconstruct a study from both the study and the facility records.
304
7.4 Placement of Records and Materials into the Archives
On completion (including termination) of a study the Study Director is responsible for ensuring that
all study documentation, data and related records and materials are archived in a timely manner. The
Study Director retains responsibility for the integrity of study documentation, data and related records and
materials until they are accepted into the archive. Test facility management is responsible for maintaining
the integrity of the records and materials once they are transferred to the archives. Test facility
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management should ensure that a time period for the transfer of material from the Study Director to the
archivist is defined that is in compliance with national regulatory requirements, where existent.
Prior to transferring records and materials to the archive, the Study Director is responsible for
establishing an inventory to be archived, confirming completeness of records and materials, and ensuring
that these records and materials are transferred in their entirety to the archive. The archivist or archive
personnel should check the completeness of records and materials upon their arrival by comparison with
the inventory list and acknowledge receipt.
Test Facility Management should ensure that non study specific (facility) records such as
maintenance records, staff training records, organisational charts, etc. are archived on a regular basis
defined by test facility SOP. Procedures for archiving these records and materials should be similar to
those employed for study records and materials.
In multi-site studies, procedures for archiving records and materials generated at individual test sites
should be agreed upon and documented prior to/ or at the initiation of the study.
The Principal Investigator should notify the Study Director of the transfer of study materials to the
archive.
7.5 Transfers
On occasion it may be necessary to transfer archived records and materials from one archive to
another at a different physical location. The archivist transferring the records and materials, including
electronic records, should ensure that there is a documented agreement and transfer plan between test
facility management, management at the receiving facility and the sponsor before any transfer occurs. The
documentation should include details of the records and materials to be transferred, the contact
details/address of the receiving facility, and the means of transfer between locations.
Records and materials to be transferred should be clearly described in appropriate chain of custody
documentation prepared by the archivist. The transportation of the material, and associated paperwork,
between the two locations should be undertaken in such a way as to minimise the risk of loss or damage
of the records and materials.
The recipient of the transferred records and materials should check that they correspond with the
associated chain of custody documentation, and once accepted, the recipient becomes responsible for
ensuring that anything is maintained and preserved appropriately. All parties involved in the transfer
should retain copies of the chain-of-custody documentation. Transfer of archived materials between
computerised archive systems should be documented and conducted according to a migration plan.
Retention periods should be, and in some countries are, defined by regulatory (receiving) authorities.
The retention period defines the minimal period of time that data must be retained and must be available
305
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for review if the safety studies that support the registration of new products or marketed products need to
be verified. It is strongly recommended that records and other sustaining material associated with such
safety studies be retained for as long as regulatory authorities might request GLP audits of the respective
studies.
When performing routine test facility inspections that include the carrying out of study audits,
monitoring authorities and/or their inspectors will normally select studies completed or performed since
the previous inspection or, in some countries, the two previous inspections. If the retention periods have
not been defined by an applicable regulatory authority, it is highly recommended that records and
materials should be retained for at least three inspection cycles so that inspectors can evaluate the
compliance of the test facility with the Principles of GLP. For those studies that will not be submitted to
regulatory authorities it may be acceptable (if justified) to dispose of the study specific records and
materials after this period.
The Principles of GLP state: a sample for analytical purposes from each batch of test item should
be retained for all studies except short-term studies. Samples of test and reference items may however
be discarded when the quality of the material no longer permits evaluation. Obviously the storage
conditions should be optimal for these samples. When samples of test and reference items or specimens
are disposed of before the end of the required retention period, the reason for disposal should be justified
and documented.
Perishable specimens, such as blood smears, freeze-dried preparations and wet tissues, may also be
discarded when they can no longer be read or evaluated. For non-perishable specimens the general
guidance will apply.
Electronic media may be discarded when the media itself no longer permits evaluation (due to
hardware or software issues) provided the disposal is authorized, documented, and electronic records are
migrated and any record losses documented.
7.7 Retrieval
Appropriate procedures should be established for retrieval of archived records and materials. These
procedures should define the circumstances under which they may be removed from the archive (e.g. for
inspection/ regulatory purposes, by sponsor, etc.). The procedures should also describe in detail who is
permitted to withdraw records and materials, who can authorise removal of records and materials and the
timeframe within which records and materials should be returned to the archives.
Viewing electronic records without the possibility of alteration or deletion of the archived electronic
record or replicating within another computerized system does not constitute retrieval of a record.
The Principles of GLP require that movement of records and materials in and out of the archives
should be properly recorded. There should be mechanisms in place to enable the archivist to track the
movement of records and materials from and back to the archive and to identify any records and materials
not returned within the specified timeframe. On return to the archive, the records and materials should be
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verified by the archivist or a designed member of the archive staff to be complete and unaltered.
Management should be informed of any discrepancies.
306 Test facility managements and, if applicable, the sponsors authorisation should be obtained before
the disposal of any archived records and materials. The reasons for disposal should be recorded. It may be
appropriate to inform QA. The disposal of archived records and materials should be documented.
Requirements for the archiving of electronic records are the same as those for other record types, but
there are additional features, which are addressed below. It is therefore important that management ensure
that appropriate Standard Operating Procedures are established for the archiving of electronic media in a
secure GLP environment.
The decision to retain records in electronic form has important implications. The long-term retention
of electronic records may influence the choice of storage medium since deterioration of storage media can
lead to permanent loss of records. Computer technology is developing rapidly and devices capable of
reading storage media in common use today may not be available in the future. Electronic records should
be stored in a format that is readable for the duration of the applicable record retention period.
Records may be migrated from a computerised system onto a storage medium, e.g. magnetic tape,
diskette, CD or optical disk that can be placed in a physical archive. Archive procedures should include
the consideration of additional controls for the migration of electronic records from old to new media of
these records. Consideration should be given to future access to the data or records stored on these media.
There may be a need for special storage conditions, e.g. protection from magnetic fields.
Electronic records may be moved from the production part of a computerised system to a discrete,
secure archive area on the same computer system (physically separated, e.g. file record systems), or
explicitly marked as archived (logically separated, e.g., database record systems). Records should be
locked such that they can no longer be altered or deleted without detection. Records archived in this
way must be under the control of a designated archivist and be subject to equivalent controls to those
applied to other record types.
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Records may be migrated from the computer system that captured or manipulated them into a
separate dedicated electronic archive system. All data associated with the reconstruction of the study
needs to be migrated. This includes, but is not limited to raw data, metadata, audit trails, e-signatures and
associated hardware and software that allow availability of all records in the future.
Where ideally the archivist should be the system-owner for the electronic archive system, it is
recognised that the electronic archive system is likely to be managed by information technology (IT)
personnel. The archivist, being ultimately responsible for managing the archive, has an important role in
helping to ensure that regulatory requirements are met. Test facility management should, therefore, take
care that the co-operation and co-ordination between the archivist and information technology personnel
is ensured. 307
These IT staff should follow procedures agreed with the archivist and/or test facility management.
Electronic records are at risk without a preservation process to ensure that these records are available
in the future. Procedures should be in place to ensure that essential information remains complete and
retrievable throughout the specified retention period. If the record medium requires processing in order to
render the retained records into a readable format, then the continued availability of appropriate
equipment should be ensured. If availability cannot be guaranteed, the possibility of migrating data from
one medium to another should be considered.
If electronic record migration is necessary, the process of migration should be fully documented, and
validated to ensure complete and accurate migration of the original records before they are lost or
destroyed. If it is impossible to migrate the records to new electronic media it may be necessary to migrate
to paper records. Duplication of electronic archives should be considered as part of an archive
preservation plan.
9. QUALITY ASSURANCE
Archive facilities and processes constitute an important component of a GLP compliant test facility.
These aspects should, therefore, be subject to routine quality assurance (QA) inspections and audits.
When archived records and materials are transferred, the transfer process should be monitored by the
conduct of directed QA inspections.
10. CONTRACT ARCHIVE SERVICES
The Principles of GLP require that a test facility has an archive to provide secure storage of records
and materials. This will usually consist of archive facilities within the test facility itself, but the use of
contract archive facilities is not precluded. In this situation, the guidance contained within this document
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should equally apply to the contract archive facilities. Contract archive facilities are involved in processes
dealing with GLP studies and thus should be subject to inspections by Quality Assurance Programs, and
by Monitoring Authorities, to assess the compliance with the GLP Principles.
The following factors need to be considered when using contract archive facilities:
There should be a formal agreement that details the level and conditions of service to be provided by
the contract archive facility. This agreement should cover the description of the records and materials to
be archived, the transportation of records and materials to the archive, chain of custody, access to stored
records and materials by the contract archive, services provided (e.g. regular check of containers for wet
308 tissues), safety, storage conditions, duration of storage, method of retrieval/access and method of return/
disposal, QA activities and responsibilities, and other considerations as addressed in this document. The
contract archive organisation should follow relevant SOPs, either their own, or, in their absence, those
provided by test facility management. This should be specified in the agreement.
Procedures should define how, and when, stored records and/or materials can be accessed by the
depositor of the records and/or materials. Any such access should be approved and documented.
The conditions of storage and the procedures followed by the contract archive facility should be the
same standard as those expected of a test facility archive which is operated in compliance with the
Principles of GLP. This will include the appointment of a suitably qualified archivist, written and
approved SOPs describing archiving related activities and the provision of suitable storage areas to
prevent deterioration or loss of stored records and materials.
10.4 Inspections
Periodically the contract archive facility should be inspected by Quality Assurance from or on behalf
of the test facility or the sponsor, where applicable, to ensure that the conditions of the service level
agreement are being met and that the systems and procedures operated by the contract archive facility
comply with their SOPs and the Principles of GLP.
11. CLOSURE OF AN ARCHIVE
11.1 Principle
The OECD Principles of Good Laboratory Practice (in Section 10.4) state: If a test facility or an
archive contracting facility goes out of business and has no legal successor, the archive should be
transferred to the archives of the sponsor(s) of the study(s).
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If a test facility or test site no longer intends to operate the archive in compliance with the Principles
of GLP or goes out of business, the following measures have to be taken:
The applicable national GLP compliance monitoring 309 authority should be informed in a
timely manner by the test facility.
Test facility management should ensure that sponsors are informed as soon as possible once a
decision is made to close the archive or if the facility goes out of business. Sponsors should ensure
that all study-related records and materials are transferred to an alternate GLP compliant archive and
retained for the period specified by the appropriate authorities.
For non study specific (facility) records or records which relate to studies of more than one sponsor and
that should be retained according to the Principles of GLP, test facility management should agree with the
sponsors on how to ensure that these records and materials are archived in a GLP compliant archive after
the closure of the test facility or archive for the period specified by the appropriate authorities. Access of
the sponsors to these study- related records and materials should be agreed upon and documented.
After the transfer to a new archive facility has taken place the GLP monitoring authority will
normally inspect the new archive. In case records or materials are transferred to facilities located in
another country, the GLP monitoring authority in that country should also be informed.
12. REFERENCES
OECD Principles of Good Laboratory Practice (as revised in 1997), ENV/MC/CHEM(98)17, OECD,
Paris, 1998. (No.1 in OECD Series on Good Laboratory Practice and Compliance Monitoring)
Revised Guidance for the Conduct of Laboratory Inspections an Study Audits, Environment
Monograph No. 111, ENV/GD/(95)67, OECD, Paris, 1995 (No.3 in OECD Series on Good Laboratory
Practice and Compliance Monitoring)
The Application of The Principles of GLP to Computerised Systems, Environment Monograph No.
116, OECD/GD(95)115, OECD, Paris, 1995. (No. 10 in OECD Series on Good Laboratory Practice and
Compliance Monitoring)