Interpharm Praha A.S Receives FDA Warning Letter
The Czech Republic drug manufacturer was cited for data integrity and quality issues.
A has cited another company for data integrity
violations. A warning letter, dated
Oct. 18, 2016, was sent to Interpharm Praha A.S of the Czech Republic and
detailed a number of current good manufacturing practice (CGMP) violations in
the manufacture of APIs and finished drug products found during an October 2015
inspection of the company’s Modrany facility.
Data integrity
violations found during the inspection included a failure to prevent
unauthorized access or changes to data. According to the warning letter, the
company’s automated system made it possible for analysts to delete or alter
test results, and therefore, the quality unit did not have complete and
accurate quality information.
FDA found the
company’s response to the violation inadequate, stating, “According to your
response, you restricted access and permissions in the Empower 2 automated data
system. However, your response does not demonstrate how the specific controls
you have implemented prevent deletion or alteration of data, nor have you shown
how you will ensure that these permissions are documented, implemented, and
followed. Finally, you have not shown how these controls ensure that records
relied upon for batch release and other quality review decisions are complete
and accurate.”
The agency
advised the company to perform a “comprehensive investigation” into the extent
of the data integrity issues, provide a risk assessment on the potential effect
of the violations on the quality of the company’s product, and develop a
management strategy that includes a global corrective action and preventive
action plan.
A failure to
establish laboratory controls was also found by FDA. “Your laboratory
procedures allowed analysts to modify and delete chromatographic results
without adequate justification, and to use manual integration in uncontrolled
circumstances,” the warning letter stated. FDA asked the company to “describe
all steps you will take to ensure that appropriate laboratory controls have
been implemented to support product quality review and batch release decisions.
Include the controls you will implement for the modification, deletion, and
manual integration of chromatographic test results.”
Source: FDA
0 comments:
Post a Comment