Process
Validation - EMA & US Guidance Comparison
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Similarities
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Incorporates product life cycle, QRM and efficient
quality system practices (ICH Q8, Q9 & Q10).
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Emphasis on continued process verification through analysis of pre
and post release data to provide confidence of an ongoing valid process.
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Acknowledgement and provision of scope to emerging processing
technologies, such as PAT, to assist the validation effort.
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Enhanced detail to provide understanding of regulator expectation on
what constitutes an appropriate validation effort.
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EMA
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US
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Definition “documented evidence that the process,
operated within established parameters, can
perform effectively and reproducibly to produce a
medicinal product meeting its predetermined
specifications and quality attributes.”
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Definition “the collection and evaluation of data,
from the process design stage throughout
production, which establishes scientific evidence
that a process is capable of consistently delivering
quality product.”
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The EMA draft guideline states “a minimum of
three consecutive batches”, with justification to
be provided (there are some exceptions to this
statement).
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The US FDA guidance states that the number of
batches must be sufficient to provide statistical
confidence of the process. It is a subtle, but
important distinction in the approaches.
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The US FDA guidance emphases documenting the
development phase as part of PV.
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The EMA draft
encourages the use of the product development
activities, but is less prescriptive on requirements.
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The EMA guideline specifically allows the use of
CPV to replace traditional validation efforts.
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US FDA approach does not place high emphasis on
CPV, and requires all three stages of process validation to be fully
addressed, regardless of whether contemporary or traditional methods are
utilised.
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The US FDA guidance considers equipment and
process design, as well as equipment qualification
as part of the overall process validation effort.
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The EMA guideline sees process as independent
from equipment and facility. Currently, the EMA
still relies on Annex 15 of the GMP guide for
instruction on equipment qualification.
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