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Showing posts with label MHRA. Show all posts
Showing posts with label MHRA. Show all posts

Tuesday, January 10, 2017

MHRA publishes Draft Guidance on "Usability" of Medical Devices

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With its new draft guidance on human factors and usability requirements, the MHRA is giving greater emphasis to design process in the development of medical devices and combination products - particularly with regard to the increasing complexity of these products.

The draft comprises 30 pages. Beside the common EU Medical Devices Directives 93/42 EC, 90/385/EEC, 98/79/EC and 2007/47/EC, the norms EN 62366 and 60601 are also referred to. The corresponding paragraphs of those guidelines relating to the topic "Design" are listed in detail in Appendix 3 of the draft.
The document contains an interesting table which usually lists the techniques used for usability studies and brings them in line with the respective stage of the development process. 

A flow chart illustrates the development process with the "human engineering factors". An own chapter (session 5) is dedicated to them. In this draft guidance, the topic "Usability" is embedded in the lifecycle of the product. Consequently, references to post-market surveillance are made and the conclusions of them with regard to a continuous improvement process.

Although the draft mentions the increasing number of combination products to be expected in future, it contains only a few concrete indications for this group of products. Basically, the device in the combination product is subject to the same expectations regarding the human factors and usability requirements as all other medical devices. Those expectations should be discussed in both the marketing authorisation dossier and in the variations dossier. 

Any differences between the medical device used in clinical studies and that proposed for marketing should be explained and may require additional human factor engineering studies. The potential medication error of the medical device should be taken into consideration in the risk management plan.


Conclusion: 
Strictly speaking the MHRA Draft Guidance Human Factors and Usability Engineering – Guidance for Medical Devices Including Drug-device Combination Products applies to Great Britain only, but it is worth reading also for stakeholders from EU Members States, particularly the linking of techniques about manageability studies to each single design stage.


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Saturday, July 30, 2016

MHRA GxP Data Integrity Definitions and Guidance for Industry by gmp violations

MHRA GxP Data Integrity Definitions and Guidance for Industry


The guidance is intended to be a useful resource on the core elements of a compliant data governance system across all GxP sectors (good laboratory practice, good clinical practice, good manufacturing practice, good distribution practice and good pharmacovigilance practice).
It addresses fundamental failures identified by MHRA and international regulatory partners during GLP, GCP, GMP and GDP inspections; many of which have resulted in regulatory action.
The document should be read in conjunction with the applicable regulations and the general guidance specific to each GxP.
We welcome your comments via the comment sheet (MS Word Document,224KBwhich can be emailed to inspectorate@mhra.gsi.gov.uk
Click here for Document (PDF207KB14 pages)

Deadline for comments: 31 October 2016


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Friday, July 15, 2016

Handling of unexpected deviations by GMPViolations.COM

portrait of surprised young handsome blonde business woman - copyright a...Handling of unexpected deviations

Every batch of medicinal product must be certified by a Qualified Person (QP) of the EU manufacturer or importer before being released for sale. The certifying QP takes responsibility for ensuring that each batch has been manufactured and checked in compliance with the laws in force in the Member State where certification takes place, in accordance with the requirements of the marketing authorisation (MA) and Good Manufacturing Practice (GMP).
Annex 16 to the EU Guide to GMP provides specific guidance on certification by a QP and batch release. The Annex has recently been revised, with theupdated version coming into effect from 15 April 2016.
The purpose of this post is to look in more detail at one aspect of the new Annex 16 – the handling of unexpected deviations.
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