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27

Nov

EMA: New Q&A on Supply Chain Traceability (EU GMP guide - Annex 16)

The EMA has revised the Q&As on good manufacturing and distribution practices (GMPs/GDPs). A new question and answer on the documentation of supply chain traceability has been added to the section about EU GMP Guide Annex 16 certification by a qualified person and batch release.

The question:

How should the traceability of the supply chain of the active substance and medicinal product be documented to support the Qualified Person batch certification and release.

EMA’s response:

  • To meet the certification requirements in Section 1 of EU GMP Guide Annex 16, the entire manufacturing and distribution supply chain of the medicinal product and its active substance must be documented and available to the Qualified Person.
  • Supply chain records should ensure traceability, be available promptly, and support activities like quality defect investigations, product recalls, or requests from authorities.
  • These records should identify all entities, including suppliers and outsourced services, involved in manufacturing each batch, as per the registered supply chain.
  • Additionally, in line with Chapters 1 and 5 of EU GMP Guide Part I, supply chain traceability risks should be formally assessed, periodically reviewed, and mitigated with appropriate measures.

14

Gen

US FDA CDER’s work to help develop a nitrosamines acceptable intake limit approach

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14

Gen

China publishes guidelines in push to reform regulations by 2027

he Chinese government has published guidelines intended to accelerate the reform of drug and medical...

14

Gen

ndia’s CDSCO gives small manufacturers more time to comply with new GMP rules

India’s Central Drugs Standard Control Organization (CDSCO) has given small and medium scale manufacturers...

07

Gen

FDA Proposes Framework to Advance Credibility of AI Models Used for Drug and Biological Product Submissions

The U.S. Food and Drug Administration issued draft guidance to provide recommendations on the...

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