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Workshop on Suitability and Compatability for Packaging and Delivery Systems – Cosponsored by USP and PQRI How USP Standards Apply Under USP Rules and in Federal Law Matthew B. Van Hook Assistant General Counsel Version 2.4, June 10, 2013 Overview – How USP Develops Standards Standards for articles recognized in USP-NF are expressed in the article’s monograph, applicable general chapters, and Gen Notices. Articles are recognized in USP when a Monograph is published; it sets forth the article’s name, specification and other requirements. The name (i.e. title) specified in a monograph is the official title for such article (GN 2.20). The identity test in a monograph is used to establish whether it is the article named in the USP-NF monograph (GN 5.40). Failure of an article to meet all of the requirements of a prescribed identity test indicates that the article is mislabeled and/or adulterated. USP-NF standards apply at all times in the life of the article from production to expiration. USP does not specify any particular time, place or frequency for testing (GN 3.10). But articles expected to meet USP standards if tested; any actually tested must meet USP-NF standards to demonstrate conformance. Enforcement of USP standards is the responsibility of FDA and other govt authorities in US and elsewhere; USP has no enforcement role (GN 2.30). 2 USP Role Under Federal Law – DRUGS & BIOLOGICS • 1906 Food & Drugs ‘Wiley’ Act – U.S. Government can act if adulterated or misbranded – USP strength, quality & purity used to define adulteration • 1938 Federal Food, Drug, and Cosmetic Act – FDA application – safety – but no preapproval – USP naming & Identity (drug named in official compendium) USP packaging & labeling (FDCA 502(g)) • 1962 FD&C Drug Amendments – FDA pre-market approval authority; safety & efficacy – FDA authority to require GMPs to assure safety, strength purity – FDA authority to change USP official/nonproprietary names • 1997 FDA Modernization Act Amendments – Ratify FDA policy that all FDCA requirements (e.g. adulteration, misbranding, GMPs) apply to PHS Biologics. PHService Act §351(j) • 2010 Biologics Price Competition and Innovation Act – 351(k) biosimilars subject to same regulatory requirements as 351(a) How USP Standards are Recognized In Law Drug deemed misbranded unless its label bears the “official title” recognized in USP-NF. FDCA 502(e)(3) FDCA & PHS Act drugs recognized in USP are deemed adulterated or misbranded if they fail to meet USP standards for identity, strength, quality or purity (FDCA 501(b); 21 CFR 299.5) packaging & labeling (FDCA 502(g)) • FDA-approved names in NDAs and BLAs are considered by FDA to be “interim established names,” that exist only unless and until USP designates a name. See, e.g. Novartis v. Leavitt, 435 F.3d 344 (D.C.Cir. 2006) – FDA name may have to change: “The USP Nomenclature Committee acts under its own schedule, so that its designation of a name qualifying under §352(e)(3)(B) need not coincide with the FDA’s approval of a drug.” Novartis v. Leavitt, 435 F.3d 344, 352 (D.C. Cir. 2006). Adulterated Drugs – 501(b); USP Strength, Quality, Purity • “Such determination as to strength, quality, or purity shall be made in accordance with the tests or methods of assay set forth in such compendium….” – If FDA finds the tests or assays to be insufficient for determining compliance with USP standards, and USP doesn’t timely revise, FDA may set appropriate tests and assays by rulemaking. • Exception: if drug strength, quality or purity differ from compendial standards, and the difference “is plainly stated on its label.” 5 Overview re Legal Role of USP Standards – FDA-Enforceable, if drug recognized in USP-NF? • Identity – YES, Always • Strength – YES Unless Any Difference Is Plainly Stated • Quality – YES On The Label • Purity – YES • Compendial Packaging/Labeling - YES Law and compliance a complex fabric of dual and sometimes overlapping roles – USP standards, 501(b) – since 1906, 1938 – FDA GMPs, 501(a) – since 1962 apply upon approval, regardless of USP/NF – FDA product approval specs – very detailed, including re manufacturing and drug quality, since 1962 Or FDA OTC Monograph System – provides for marketing of GRASE drugs; see 21 CFR Part 330 What Testing Does USP Require re: USP-NF Standards? • Compliance with USP standards is required at any and all times in the life of an article. Any official article is expected to meet USP standards if tested, and any article actually tested as directed in the monograph must meet USP standards to demonstrate compliance. • Frequency of testing, whether and when to test if at all, is left to the preferences and direction of those performing compliance tests, and other users of USP-NF (manufacturers, buyers, regulatory authorities). • FDA and manufacturers help ensure compliance with applicable USP compendial standards, with e.g. FDA specs, GMPs, Quality by Design initiatives. See USP General Notices, §3.10 USP Packing & Labeling Standards, §502(g) • The FDCA Section 502 Misbranding provision deems a drug mislabeled “If it purports to be a drug [recognized in USP or NF], unless it is packaged and labeled as prescribed therein.” – Note, the USP method of packing, but not the USP required labeling, “may be modified with the consent of the Secretary [FDA].” • Example – Labeling Limits on Cap & Ferrule Overseals (See General Chapter <1> Injections; soon to be moved to new <7> ) • Note re 503(b)(2) – dispensed Rx drugs are exempt from most 502 labeling requirements, however “the packaging requirements” of paragraph 502(g) are excepted, i.e. continue to apply to dispensed drugs. Thank You; Questions and Feedback QUESTIONS? For further information on this presentation, please contact Matt Van Hook, [email protected], 301.230.6357