FDA's
Inspectional Objectives for CAPA Procedure
|
CAPA is an excellent quality
improvement tool, which evidently contributed a lower error rate in
pharmaceutical industry. CAPA effectively tackle deviations and errors in the
manufacturing process as well as quality deficiencies later on in the life
cycle of products by avoiding future failures.
|
During quality system inspection FDA inspectors
are much focused on CAPA effectiveness, because it is linked to so many other things
like
· Non conformances
· Deviations
· Market Complaints
· Audits
· Annual Product Review
· Process improvement projects
· Risk Management etc.
1.
Verify that CAPA system procedure(s) that address the requirements of the quality
system regulation have been defined and documented. |
2.
Determine if appropriate sources of product and quality problems have been
identified. Confirm that data from these sources are analyzed to identify
existing product and quality problems that may require corrective action. |
3.
Determine if sources of product and quality information that may show
unfavorable trends have been identified. Confirm that data from these sources
are analyzed to identify potential product and quality problems that may require
preventive action. |
4.
Challenge the quality data information system. Verify that the data received
by the CAPA system are complete, accurate and timely. |
5.
Verify that appropriate statistical methods are employed (where necessary) to
detect recurring quality problems. Determine if results of analyses are
compared across different data sources to identify and develop the extent of
product and quality problems. |
6.
Determine if failure investigation procedures are followed. Determine if the
degree to which a quality problem or nonconforming product is investigated is
commensurate with the significance and risk of the nonconformity. Determine
if failure investigations are conducted to determine root cause (where
possible). Verify that there is control for preventing distribution of
nonconforming product. |
7.
Determine if appropriate actions have been taken for significant product and
quality problems identified from data sources. |
8.
Determine if corrective and preventive actions were effective and verified or
validated prior to implementation. Confirm that corrective and preventive
actions do not adversely affect the finished device. |
9.
Verify that corrective and preventive actions for product and quality
problems were implemented and documented. |
10.
Determine if information regarding nonconforming product and quality problems
and corrective and preventive actions has been properly disseminated,
including dissemination for management review. |
Poor CAPA systems remain one of the top problem areas for both
the drug and device industries when it comes to FDA inspections.
these
three things you would fulfil most FDA regulations
and
be in good standing with them:
1. Find your problems
2. Fix you problems
3. Prevent your problems
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