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Represented By,
Mr. Audumbar Mali,
(Asst. Prof.)
Sahyadri College of Pharmacy Methwade.
 Transfer of technology is defined as “a logical procedure that controls
the transfer of any process together with its documentation and
professional expertise between development and manufacture or
between manufacture sites”.
 Transfer of technology requires :
 Documented, planned approach
 Trained and knowledgeable personnel
 Compliant quality system
 Documentation of data covering all aspects of development, production and
quality control.
 Usually there is a Sending unit (SU) , a receiving unit (RU) and the unit
managing the process, which may or may not be a separate entity.
2
 Active pharmaceutical ingredient (API) :
Any substance or mixture of substances intended to be used in the
manufacture of a pharmaceutical dosage form and that, when so used
becomes an active ingredient of that pharmaceutical dosage form. Such
substances are intended to furnish pharmacological activity or other
direct effect in the diagnosis, cure, mitigation, treatment, or prevention
of disease or to affect the structure and function of the body.
 Good manufacturing practices (GMP) :
That part of quality assurance which ensures that pharmaceutical
products are consistently produced and controlled to the quality
standards appropriate to their intended use and as required by the
marketing authorization.
3
 Process validation :
Documented evidence which provides a high degree of assurance that a
specific process will consistently result in a product that meets its
predetermined specific actions and quality characteristics.
 Quality assurance (QA) :
Quality assurance is a wide-ranging concept covering all matters that
individually or collectively influence the quality of a product. It is the
totality of the arrangements made with the objective of ensuring that
pharmaceutical products are of the quality required for their intended
use.
 Quality control (QC) :
 Quality control covers all measures taken, including the setting of
specifi cations, sampling, testing and analytical clearance, to ensure
that starting materials, intermediates, packaging materials and finished
pharmaceutical products conform with established specifications for
identity, strength, purity and other characteristics.
4
 Quality risk management (QR) Quality risk management
is a systematic process for the asseM) ssment, control, communication
and review of risks to the quality of the pharmaceutical product
throughout the productlife-cycle.
 Receiving unit (RU) :
The involved disciplines at an organization where a designated product,
process or method is expected to be transferred.
 Sending unit (SU) :
The involved disciplines at an organization from where a designated
product, process or method is expected to be transferred.
 Standard operating procedure (SOP) :
An authorized written procedure giving instructions for performing
operations not necessarily specific to a given product or material (e.g.
equipment operation, maintenance and cleaning, validation, cleaning of
premises and environmental control, sampling and inspection).
5
Technology transfer report :
A documented summary of a specific
technology transfer project listing procedures,
acceptance criteria, results achieved and
conclusions. Any deviation should be discussed
and justified.
Validation :
Action of proving and documenting that any
process, procedure or method actually and
consistently leads to the expected results.
6
 The transfer protocol should list the intended sequential stages of the
transfer. The protocol should include:
 objective
 scope
 key personnel and their responsibilities
 a parallel comparison of materials, methods and equipment
 the transfer stages with documented evidence that each critical stage has
been satisfactorily accomplished before the next commences
 identification of critical control points
 experimental design and acceptance criteria for analytical methods
 information on trial production batches, qualification batches and process
validation
 change control for any process deviations encountered
 assessment of end-product
 arrangements for keeping retention samples of active ingredients ,
intermediates and finished products, and information on reference
substances where applicable; and conclusion, including signed-off approval
by project manager. 7
8
 The RU should be able to accommodate the intended production
capacity. If possible, it should be established at the outset whether the
intention is to perform single-batch manufacture, continuous
production or campaigns.
 Consideration should be given to
 The level and depth of detail to be transferred to support production
and any further process development and optimization at the RU as
intended under the transfer project plan.
 The technical expertise, site technology and site capabilities for the RU.
 It should be identified upfront by the SU of any process robustness
issues so that plans may be put in place at the RU.
 The SU and the RU should jointly develop a protocol for the transfer of
relevant information related to the process under consideration from
the SU to the RU, as well as the development of a comparable process
at the RU.
9
10
 The specifications and relevant functional
characteristics of the starting materials :
 APIs and excipients to be used at RU
should be consistent with
materials used at the SU.
 Any properties which are likely to
influence the process or product should
be identified and characterized.
11
 The SU should provide the RU with the open part of the API master file
(APIMF) or drug master file (DMF) or active substance master file (ASMF)
or equivalent information and any relevant additional information on the
API of importance for the manufacture of the pharmaceutical product.
 The following are examples of the information which may typically be
provided; however the information needed in each specific case should
be assessed using the principles of QRM:
 Manufacturer and associated supply chain
 Step of the API to be transferred
 Flow chart of synthesis pathway, outlining the process, including entry
points for raw materials, critical steps, process controls and intermediates
 where relevant, definitive physical form of the API (including
photomicrographs and other relevant data) and any polymorphic and
solvate forms
12
 solubility profile
 If relevant, pH in solution
 Partition coefficient, including the method of determination
 Intrinsic dissolution rate, including the method of determination
 Particle size and distribution, including the method of
determination
 Bulk physical properties, including data on bulk and tap density,
surface area and porosity as appropriate
 Water content and determination of hygroscopicity , including
water activity data and special handling requirements
 Microbiological considerations (including sterility, bacterial
endotoxins and bioburden levels where the API supports
microbiological growth) in accordance with national, regional or
international pharmacopoeial requirements
13
 Specifications and justification for release and end-of-life limits
;
 summary of stability studies conducted in conformity with
current
guidelines, including conclusions and recommendations on
retest date;
 list of potential and observed synthetic impurities, with data to
support proposed specifications and typically observed levels;
 information on degradants, with a list of potential and
observed degradation products and data to support proposed
specifications and typically observed levels;
 potency factor, indicating observed purity and justification
for any recommended adjustment to the input quantity of
API for product manufacturing, providing example
calculations;
 special considerations with implications for storage and or
handling, including but not limited to safety and
environmental factors (e.g. As specified in material safety data
sheets) and sensitivity to heat, light or moisture.
14
 The excipients to be used have a potential impact on the final
product.
 Their specifications and relevant functional characteristics
should, therefore, be made available by the SU for transfer to
the RU site.
 The following are examples of the information which may typically
be provided; however, the information needed in each specific case
should be assessed using the principles of QRM:
 Manufacturer and associated supply chain
 Description of functionality, with justification for inclusion of
any antioxidant, preservative or any excipient
 Definitive form (particularly for solid and inhaled dosage forms)
 Solubility profile (particularly for inhaled and transdermal
dosage forms)
 Partition coefficient, including the method of determination
(for transdermal dosage forms)
15
 Intrinsic dissolution rate, including the method of determination
(for transdermal dosage forms)
 Particle size and distribution, including the method of
determination (for solid, inhaled and transdermal dosage forms)
 Bulk physical properties, including data on bulk and tap density,
surface
area and porosity as appropriate (for solid and inhaled dosage
forms)
 Compaction properties (for solid dosage forms)
 Melting point range (for semi-solid or topical dosage forms)
 pH range (for parenteral, semi-solid or topical, liquid and
transdermal
dosage forms)
 Ionic strength (for parenteral dosage forms)
 Specific density or gravity (for parenteral, semi-solid or topical,
liquid and transdermal dosage forms)
16
 Viscosity and or viscoelasticity (for parenteral, semi-solid or
topical, liquid and transdermal dosage forms)
 Osmolarity (for parenteral dosage forms)
 Water content and determination of hygroscopicity, including
water activity data and special handling requirements (for
solid and inhaled dosage forms)
 Moisture content range (for parenteral, semisolid or topical,
liquid and transdermal dosage forms)
 Microbiological considerations (including sterility, bacterial
endotoxins and bioburden levels where the excipient supports
microbiological growth) in accordance with national, regional or
international pharmacopoeial requirements, as applicable (for
general and specific monographs)
 Specifications and justification for release and end-of-life limits
17
 Information on adhesives supporting compliance
with peel, sheer and adhesion design criteria (for
transdermal dosage forms)
 Sepecial considerations with implications for
storage and or handling, including but not limited
to safety and environmental factors (e.g. As
specified in material safety data sheets (MSDS))
and sensitivity to heat, light or moisture
 Regulatory considerations, e.g. documentation to
support compliance with transmissible animal
spongiform encephalopathy certification
requirements (where applicable) .
18
 The SU should provide a detailed characterization of the
product, including its qualitative and quantitative
composition, physical description, method of manufacture,
in-process controls, control method and specifications,
packaging components and configurations, and any safety and
handling considerations.
 The SU should provide any information on the history of
process development which may be required to enable the
RU to perform any further development and or process
optimization after successful transfer. Such information may
include the following:
 Information on clinical development
 information on scale-up activities :
o process optimization, statistical optimization of critical process
parameters, critical quality attributes, pilot report and or
information on pilot-scale development activities indicating
the number and disposition of batches manufactured 19
 The SU should provide to the RU information on any
health, safety and environmental issues associated
with the manufacturing processes to be transferred,
and the implications.
 During the transfer process, the RU should identify any
differences in facilities, systems and capabilities and
communicate with the SU about these differences to
understand the potential impact on ability to run the
process to deliver good product quality.
 Based on the information received from the SU, the RU
should consider its own capability to manufacture and
pack the product to the required standards and should
develop relevant plant operating procedures and
documentation before the start of production.
20
21
 The transfer of packaging operations should follow the
same procedural patterns as those of the production
transfer.
 Information on packaging to be transferred from the
SU to the RU includes:
 Specifications for a suitable container or closure system ,
 Any relevant additional information on design, packing,
processing or labelling requirements ,
 Tamper-evident and anti-counterfeiting measures
needed for qualifi cation of packaging components at
the RU.
 For QC testing of packaging components, specifications
should be provided for drawings, artwork and material (for
example, glass, card or fi bre board).
22
 Based on the information provided, the RU should
perform a suitability study for initial qualification of
the packaging components.
 Packaging is considered suitable if it provides :
 It provides adequate protection (preventing
degradation of the
medicine due to environmental influences),
 Safety (absence of undesirable substances released
into the product),
 Compatibility (absence of interaction possibly
affecting medicine quality),
 Performance (functionality in terms of drug delivery).
23
24
 During the manufacturing process, pharmaceutical products
and APIs can be contaminated by other pharmaceutical
products or APIs if the plant is processing different products.
 Tominimize the risk of contamination and cross-
contamination, operator exposure and environmental
effects, adequate cleaning procedures are essential.
 Cleaning procedures and their validation are site-specific.
 In order for the RU to define its cleaning strategy the SU should
provide information on cleaning at the SU to minimize cross-
contamination due to residues from previous manufacturing
steps, operator exposure and environmental impact, including:
 Information on solubility of active ingredients, excipients and
vehicles;
 Minimum therapeutic doses of active ingredients;
25
 Therapeutic category and toxicological assessment;
 Existing cleaning procedures.
 Additional information should be provided, as appropriate and
where available, e.g.:
 Cleaning validation reports
 Information on cleaning agents used
 Recovery studies to validate the sampling methodology.
 Before the transfer, the SU should provide information on
limits for
product residues, and the rationale for limit selection.
 Based on the information provided by the SU, cleaning
procedures should be designed at the RU, taking into
account relevant characteristics of the starting materials,
manufacturing equipment design and configuration,
cleaning agent and products residue.
26
 The documentation required for the transfer project itself
is wide ranging.
 The documented evidence that the transfer of technology has
been considered successful should be formalized and stated in
a technology transfer summary report.
 This report should summarize the scope of the transfer, the
critical parameters as obtained in the SU and RU (preferably in
a tabulated format) and the final conclusions of the transfer.
Possible discrepancies should be listed and appropriate
actions, where needed, taken to resolve them.
27
Key task Documentation provided by
SU
Transfer documentation
Project definition Project plan and quality
plan(where separate
documents),
protocol, risk
assessments,
gap analysis
Project
implementationplan
TOT protocol
Quality agreement
Facility assessment
Plans and layout of facility,
buildings
(construction,finish)
Qualification status (DQ,
IQ,OQ) and reports
Side-by-side
comparison with RU
facility and buildings;
gap analysis
Qualifi cation protocol
and report
Health & Safety
assessment
Product-specific waste
management plans
Contingency plans
-
28
Skill set analysis and SOPs and training Training protocols,
training documentation assessment
(product-specific results
operations,
analysis, testing)
Analytical method Analytical method Analytical methods
transfer specifications and transfer protocol and
validation, report
including in-process
quality control
Starting material Specifications and
evaluation additional
information on APIs,
excipients
29
Equipment selection
and transfer
Inventory list of all
equipment and systems,
including makes, models,
qualification status (IQ, OQ,
PQ)
Drawings, manuals, logs,
SOPs (e.g. set-up, operation,
cleaning, maintenance,
calibration, storage)
Side-by-side comparison
with RU equipment
(makes, models,
qualification status)
Gap analysis
Qualification and
validation
protocol and report
Process transfer: Reference batches (clinical, History of process
manufacturing and dossier, biobatches) development at RU
packaging Development report Experiences at RU
(manufacturing process should be
rationale) recorded for future
History of critical analytical reference
data Provisional batch
Rationale for specifications manufacturing
Change control document (RU to
documentation develop)
30
Process transfer: Critical manufacturing Description of process
manufacturing process at RU(narrative,
and Parameters process map,
packaging Process validation reports flowchart)
Drug master file Process validation
API validation status and protocol and report
report
Product stability data
Current master batch
manufacturing and
packaging
records
List of all batches produced
Deviation reports
Investigations, complaints,
recalls
Annual product review
31
Cleaning Cleaning validation, including:
Solubility information;
therapeutic doses; category
(toxicology); existing cleaning
SOPs; validation reports —
chemical and micro; agents
used; recovery study
Product- and site-specifi
c
cleaning SOPs at RU
Cleaning validation
protocol
and report
32
 The SU should provide information to the RU on the
layout, construction and finish of buildings and
services which have an impact on the product, process
or method to be transferred.
 HVAC
 Temperature
 Relative humidity
 Water
 Power
 Compressed air
33
 The SU should provide information on relevant health,
safety and environmental issues, including:
 Inherent risks of the manufacturing processes
(e.g. reactive chemical hazards, exposure limits, fire and
explosion
risks);
 Health and safety requirements to minimize operator
exposure (e.g. atmospheric containment of
pharmaceutical dust);
 Emergency planning considerations
(e.g. in case of gas or dust release, spillage, fire and firewater
run-off);
 Identification of waste streams and provisions for re-use,
recycling and/or disposal.
34
 The SU should provide a list of equipment, makes and
models involved in the manufacture, filling, packing and
or control of the product, process or method to be
transferred, together with existing qualification and
validation documentation.
 Relevant documentation may include:
 drawings
 manuals
 maintenance logs
 calibration logs
 procedures
35
 The RU should review the information provided by
the SU together with its own inventory list including
the qualification status (IQ, OQ, PQ) of all equipment
and systems, and perform a side-by-side comparison
of equipment at the two sites in terms of their
functionality, makes, models and qualification status.
 The RU should perform a gap analysis to identify
requirements for adaptation of existing equipment,
or acquisition of new equipment, or a change in the
process, to enable the RU to reproduce the process
being transferred.
 GMP requirements should be satisfied and intended
production volumes and batch sizes (e.g. same,
scaled-up or campaign) should be considered. 36
 Factors to be compared include :
 minimum and maximum capacity
 material of construction
 critical operating parameters
 critical equipment components (e.g. filters,
screens, and temperature/pressure sensors)
 critical quality attribute
 range of intended use.
 The facility- and building-specific location of all
equipment at the RU should be considered at the
time of drawing up process maps or flow charts of
the manufacturing process to be transferred,
including flows of personnel and material .
37
 The impact of manufacturing new
products on products currently
manufactured with the same equipment
should be determined.
 Any modification of existing equipment that
needs to be adapted to become capable of
reproducing the process being transferred
should be documented in the transfer project
plan.
38
 The extent of qualification and or
validation to be performed should be
determined on the basis of risk
management principles.
 Qualification and validation should be
documented.
39
 Transfer of analytical methods should accommodate all the
analytical testing required to demonstrate compliance of
the product to be transferred with the registered
specification.
 Analytical methods used to test pharmaceutical products,
starting materials, packaging components and cleaning
(residue) samples, if applicable, should be implemented at
the testing laboratory before testing of samples for process
validation studies is performed by the RU.
 The analytical methods transfer protocol should include ;
 Description of the objective
 Scope and responsibilities of the SU and the RU
 A specification of materials and methods
 The experimental design and acceptance criteria
 Documentation
40
Procedure for the handling of
deviations
References
Signed approval
Details of reference
Samples (starting materials,
intermediates and finished
products)
41
provide method-specific trainingfor
analysts and other quality control
staff, if required
review analytical methods providedby
the SU
assist in analysis of QC testing results ensure that the necessary equipmentfor
QC is available and qualified at
the RU site
define all methods to be transferredfor
testing a given product
ensure that adequately trained and
experienced personnel are in placefor
analytical testing
define experimental design,sampling
methods and acceptancecriteria
execute the transfer protocol
provide details of the equipment used,as
necessary
perform the appropriate level of
validation to support the implementation
of the methods
provide approved procedures usedin
testing
generate and obtain approval of transfer
reports
review and approve transferreports
RU responsibilities
42
SU responsibilities
References:
1. A Textbook of Industrial Pharmacy-II, By,
Dr. K. P. Sampath Kumar,
Dr. Debjit Bhowmik, Rishab Bhanot,
Shambaditya Goswami, Nirali Prakashan,
age No. 2.1 to 2.14.
2. A Textbook of Industrial Pharmacy-II, By,
Dr. Ashok A. Hajare, Nirali Prakashan,
Page No. 2.1 to 2.54.
3. www.google.com.
Industrial Pharmacy-II (IP-II) Unit 2:- chapter:- 2 Technology Development and Transfer

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Industrial Pharmacy-II (IP-II) Unit 2:- chapter:- 2 Technology Development and Transfer

  • 1. 1 Represented By, Mr. Audumbar Mali, (Asst. Prof.) Sahyadri College of Pharmacy Methwade.
  • 2.  Transfer of technology is defined as “a logical procedure that controls the transfer of any process together with its documentation and professional expertise between development and manufacture or between manufacture sites”.  Transfer of technology requires :  Documented, planned approach  Trained and knowledgeable personnel  Compliant quality system  Documentation of data covering all aspects of development, production and quality control.  Usually there is a Sending unit (SU) , a receiving unit (RU) and the unit managing the process, which may or may not be a separate entity. 2
  • 3.  Active pharmaceutical ingredient (API) : Any substance or mixture of substances intended to be used in the manufacture of a pharmaceutical dosage form and that, when so used becomes an active ingredient of that pharmaceutical dosage form. Such substances are intended to furnish pharmacological activity or other direct effect in the diagnosis, cure, mitigation, treatment, or prevention of disease or to affect the structure and function of the body.  Good manufacturing practices (GMP) : That part of quality assurance which ensures that pharmaceutical products are consistently produced and controlled to the quality standards appropriate to their intended use and as required by the marketing authorization. 3
  • 4.  Process validation : Documented evidence which provides a high degree of assurance that a specific process will consistently result in a product that meets its predetermined specific actions and quality characteristics.  Quality assurance (QA) : Quality assurance is a wide-ranging concept covering all matters that individually or collectively influence the quality of a product. It is the totality of the arrangements made with the objective of ensuring that pharmaceutical products are of the quality required for their intended use.  Quality control (QC) :  Quality control covers all measures taken, including the setting of specifi cations, sampling, testing and analytical clearance, to ensure that starting materials, intermediates, packaging materials and finished pharmaceutical products conform with established specifications for identity, strength, purity and other characteristics. 4
  • 5.  Quality risk management (QR) Quality risk management is a systematic process for the asseM) ssment, control, communication and review of risks to the quality of the pharmaceutical product throughout the productlife-cycle.  Receiving unit (RU) : The involved disciplines at an organization where a designated product, process or method is expected to be transferred.  Sending unit (SU) : The involved disciplines at an organization from where a designated product, process or method is expected to be transferred.  Standard operating procedure (SOP) : An authorized written procedure giving instructions for performing operations not necessarily specific to a given product or material (e.g. equipment operation, maintenance and cleaning, validation, cleaning of premises and environmental control, sampling and inspection). 5
  • 6. Technology transfer report : A documented summary of a specific technology transfer project listing procedures, acceptance criteria, results achieved and conclusions. Any deviation should be discussed and justified. Validation : Action of proving and documenting that any process, procedure or method actually and consistently leads to the expected results. 6
  • 7.  The transfer protocol should list the intended sequential stages of the transfer. The protocol should include:  objective  scope  key personnel and their responsibilities  a parallel comparison of materials, methods and equipment  the transfer stages with documented evidence that each critical stage has been satisfactorily accomplished before the next commences  identification of critical control points  experimental design and acceptance criteria for analytical methods  information on trial production batches, qualification batches and process validation  change control for any process deviations encountered  assessment of end-product  arrangements for keeping retention samples of active ingredients , intermediates and finished products, and information on reference substances where applicable; and conclusion, including signed-off approval by project manager. 7
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  • 9.  The RU should be able to accommodate the intended production capacity. If possible, it should be established at the outset whether the intention is to perform single-batch manufacture, continuous production or campaigns.  Consideration should be given to  The level and depth of detail to be transferred to support production and any further process development and optimization at the RU as intended under the transfer project plan.  The technical expertise, site technology and site capabilities for the RU.  It should be identified upfront by the SU of any process robustness issues so that plans may be put in place at the RU.  The SU and the RU should jointly develop a protocol for the transfer of relevant information related to the process under consideration from the SU to the RU, as well as the development of a comparable process at the RU. 9
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  • 11.  The specifications and relevant functional characteristics of the starting materials :  APIs and excipients to be used at RU should be consistent with materials used at the SU.  Any properties which are likely to influence the process or product should be identified and characterized. 11
  • 12.  The SU should provide the RU with the open part of the API master file (APIMF) or drug master file (DMF) or active substance master file (ASMF) or equivalent information and any relevant additional information on the API of importance for the manufacture of the pharmaceutical product.  The following are examples of the information which may typically be provided; however the information needed in each specific case should be assessed using the principles of QRM:  Manufacturer and associated supply chain  Step of the API to be transferred  Flow chart of synthesis pathway, outlining the process, including entry points for raw materials, critical steps, process controls and intermediates  where relevant, definitive physical form of the API (including photomicrographs and other relevant data) and any polymorphic and solvate forms 12
  • 13.  solubility profile  If relevant, pH in solution  Partition coefficient, including the method of determination  Intrinsic dissolution rate, including the method of determination  Particle size and distribution, including the method of determination  Bulk physical properties, including data on bulk and tap density, surface area and porosity as appropriate  Water content and determination of hygroscopicity , including water activity data and special handling requirements  Microbiological considerations (including sterility, bacterial endotoxins and bioburden levels where the API supports microbiological growth) in accordance with national, regional or international pharmacopoeial requirements 13
  • 14.  Specifications and justification for release and end-of-life limits ;  summary of stability studies conducted in conformity with current guidelines, including conclusions and recommendations on retest date;  list of potential and observed synthetic impurities, with data to support proposed specifications and typically observed levels;  information on degradants, with a list of potential and observed degradation products and data to support proposed specifications and typically observed levels;  potency factor, indicating observed purity and justification for any recommended adjustment to the input quantity of API for product manufacturing, providing example calculations;  special considerations with implications for storage and or handling, including but not limited to safety and environmental factors (e.g. As specified in material safety data sheets) and sensitivity to heat, light or moisture. 14
  • 15.  The excipients to be used have a potential impact on the final product.  Their specifications and relevant functional characteristics should, therefore, be made available by the SU for transfer to the RU site.  The following are examples of the information which may typically be provided; however, the information needed in each specific case should be assessed using the principles of QRM:  Manufacturer and associated supply chain  Description of functionality, with justification for inclusion of any antioxidant, preservative or any excipient  Definitive form (particularly for solid and inhaled dosage forms)  Solubility profile (particularly for inhaled and transdermal dosage forms)  Partition coefficient, including the method of determination (for transdermal dosage forms) 15
  • 16.  Intrinsic dissolution rate, including the method of determination (for transdermal dosage forms)  Particle size and distribution, including the method of determination (for solid, inhaled and transdermal dosage forms)  Bulk physical properties, including data on bulk and tap density, surface area and porosity as appropriate (for solid and inhaled dosage forms)  Compaction properties (for solid dosage forms)  Melting point range (for semi-solid or topical dosage forms)  pH range (for parenteral, semi-solid or topical, liquid and transdermal dosage forms)  Ionic strength (for parenteral dosage forms)  Specific density or gravity (for parenteral, semi-solid or topical, liquid and transdermal dosage forms) 16
  • 17.  Viscosity and or viscoelasticity (for parenteral, semi-solid or topical, liquid and transdermal dosage forms)  Osmolarity (for parenteral dosage forms)  Water content and determination of hygroscopicity, including water activity data and special handling requirements (for solid and inhaled dosage forms)  Moisture content range (for parenteral, semisolid or topical, liquid and transdermal dosage forms)  Microbiological considerations (including sterility, bacterial endotoxins and bioburden levels where the excipient supports microbiological growth) in accordance with national, regional or international pharmacopoeial requirements, as applicable (for general and specific monographs)  Specifications and justification for release and end-of-life limits 17
  • 18.  Information on adhesives supporting compliance with peel, sheer and adhesion design criteria (for transdermal dosage forms)  Sepecial considerations with implications for storage and or handling, including but not limited to safety and environmental factors (e.g. As specified in material safety data sheets (MSDS)) and sensitivity to heat, light or moisture  Regulatory considerations, e.g. documentation to support compliance with transmissible animal spongiform encephalopathy certification requirements (where applicable) . 18
  • 19.  The SU should provide a detailed characterization of the product, including its qualitative and quantitative composition, physical description, method of manufacture, in-process controls, control method and specifications, packaging components and configurations, and any safety and handling considerations.  The SU should provide any information on the history of process development which may be required to enable the RU to perform any further development and or process optimization after successful transfer. Such information may include the following:  Information on clinical development  information on scale-up activities : o process optimization, statistical optimization of critical process parameters, critical quality attributes, pilot report and or information on pilot-scale development activities indicating the number and disposition of batches manufactured 19
  • 20.  The SU should provide to the RU information on any health, safety and environmental issues associated with the manufacturing processes to be transferred, and the implications.  During the transfer process, the RU should identify any differences in facilities, systems and capabilities and communicate with the SU about these differences to understand the potential impact on ability to run the process to deliver good product quality.  Based on the information received from the SU, the RU should consider its own capability to manufacture and pack the product to the required standards and should develop relevant plant operating procedures and documentation before the start of production. 20
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  • 22.  The transfer of packaging operations should follow the same procedural patterns as those of the production transfer.  Information on packaging to be transferred from the SU to the RU includes:  Specifications for a suitable container or closure system ,  Any relevant additional information on design, packing, processing or labelling requirements ,  Tamper-evident and anti-counterfeiting measures needed for qualifi cation of packaging components at the RU.  For QC testing of packaging components, specifications should be provided for drawings, artwork and material (for example, glass, card or fi bre board). 22
  • 23.  Based on the information provided, the RU should perform a suitability study for initial qualification of the packaging components.  Packaging is considered suitable if it provides :  It provides adequate protection (preventing degradation of the medicine due to environmental influences),  Safety (absence of undesirable substances released into the product),  Compatibility (absence of interaction possibly affecting medicine quality),  Performance (functionality in terms of drug delivery). 23
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  • 25.  During the manufacturing process, pharmaceutical products and APIs can be contaminated by other pharmaceutical products or APIs if the plant is processing different products.  Tominimize the risk of contamination and cross- contamination, operator exposure and environmental effects, adequate cleaning procedures are essential.  Cleaning procedures and their validation are site-specific.  In order for the RU to define its cleaning strategy the SU should provide information on cleaning at the SU to minimize cross- contamination due to residues from previous manufacturing steps, operator exposure and environmental impact, including:  Information on solubility of active ingredients, excipients and vehicles;  Minimum therapeutic doses of active ingredients; 25
  • 26.  Therapeutic category and toxicological assessment;  Existing cleaning procedures.  Additional information should be provided, as appropriate and where available, e.g.:  Cleaning validation reports  Information on cleaning agents used  Recovery studies to validate the sampling methodology.  Before the transfer, the SU should provide information on limits for product residues, and the rationale for limit selection.  Based on the information provided by the SU, cleaning procedures should be designed at the RU, taking into account relevant characteristics of the starting materials, manufacturing equipment design and configuration, cleaning agent and products residue. 26
  • 27.  The documentation required for the transfer project itself is wide ranging.  The documented evidence that the transfer of technology has been considered successful should be formalized and stated in a technology transfer summary report.  This report should summarize the scope of the transfer, the critical parameters as obtained in the SU and RU (preferably in a tabulated format) and the final conclusions of the transfer. Possible discrepancies should be listed and appropriate actions, where needed, taken to resolve them. 27
  • 28. Key task Documentation provided by SU Transfer documentation Project definition Project plan and quality plan(where separate documents), protocol, risk assessments, gap analysis Project implementationplan TOT protocol Quality agreement Facility assessment Plans and layout of facility, buildings (construction,finish) Qualification status (DQ, IQ,OQ) and reports Side-by-side comparison with RU facility and buildings; gap analysis Qualifi cation protocol and report Health & Safety assessment Product-specific waste management plans Contingency plans - 28
  • 29. Skill set analysis and SOPs and training Training protocols, training documentation assessment (product-specific results operations, analysis, testing) Analytical method Analytical method Analytical methods transfer specifications and transfer protocol and validation, report including in-process quality control Starting material Specifications and evaluation additional information on APIs, excipients 29
  • 30. Equipment selection and transfer Inventory list of all equipment and systems, including makes, models, qualification status (IQ, OQ, PQ) Drawings, manuals, logs, SOPs (e.g. set-up, operation, cleaning, maintenance, calibration, storage) Side-by-side comparison with RU equipment (makes, models, qualification status) Gap analysis Qualification and validation protocol and report Process transfer: Reference batches (clinical, History of process manufacturing and dossier, biobatches) development at RU packaging Development report Experiences at RU (manufacturing process should be rationale) recorded for future History of critical analytical reference data Provisional batch Rationale for specifications manufacturing Change control document (RU to documentation develop) 30
  • 31. Process transfer: Critical manufacturing Description of process manufacturing process at RU(narrative, and Parameters process map, packaging Process validation reports flowchart) Drug master file Process validation API validation status and protocol and report report Product stability data Current master batch manufacturing and packaging records List of all batches produced Deviation reports Investigations, complaints, recalls Annual product review 31
  • 32. Cleaning Cleaning validation, including: Solubility information; therapeutic doses; category (toxicology); existing cleaning SOPs; validation reports — chemical and micro; agents used; recovery study Product- and site-specifi c cleaning SOPs at RU Cleaning validation protocol and report 32
  • 33.  The SU should provide information to the RU on the layout, construction and finish of buildings and services which have an impact on the product, process or method to be transferred.  HVAC  Temperature  Relative humidity  Water  Power  Compressed air 33
  • 34.  The SU should provide information on relevant health, safety and environmental issues, including:  Inherent risks of the manufacturing processes (e.g. reactive chemical hazards, exposure limits, fire and explosion risks);  Health and safety requirements to minimize operator exposure (e.g. atmospheric containment of pharmaceutical dust);  Emergency planning considerations (e.g. in case of gas or dust release, spillage, fire and firewater run-off);  Identification of waste streams and provisions for re-use, recycling and/or disposal. 34
  • 35.  The SU should provide a list of equipment, makes and models involved in the manufacture, filling, packing and or control of the product, process or method to be transferred, together with existing qualification and validation documentation.  Relevant documentation may include:  drawings  manuals  maintenance logs  calibration logs  procedures 35
  • 36.  The RU should review the information provided by the SU together with its own inventory list including the qualification status (IQ, OQ, PQ) of all equipment and systems, and perform a side-by-side comparison of equipment at the two sites in terms of their functionality, makes, models and qualification status.  The RU should perform a gap analysis to identify requirements for adaptation of existing equipment, or acquisition of new equipment, or a change in the process, to enable the RU to reproduce the process being transferred.  GMP requirements should be satisfied and intended production volumes and batch sizes (e.g. same, scaled-up or campaign) should be considered. 36
  • 37.  Factors to be compared include :  minimum and maximum capacity  material of construction  critical operating parameters  critical equipment components (e.g. filters, screens, and temperature/pressure sensors)  critical quality attribute  range of intended use.  The facility- and building-specific location of all equipment at the RU should be considered at the time of drawing up process maps or flow charts of the manufacturing process to be transferred, including flows of personnel and material . 37
  • 38.  The impact of manufacturing new products on products currently manufactured with the same equipment should be determined.  Any modification of existing equipment that needs to be adapted to become capable of reproducing the process being transferred should be documented in the transfer project plan. 38
  • 39.  The extent of qualification and or validation to be performed should be determined on the basis of risk management principles.  Qualification and validation should be documented. 39
  • 40.  Transfer of analytical methods should accommodate all the analytical testing required to demonstrate compliance of the product to be transferred with the registered specification.  Analytical methods used to test pharmaceutical products, starting materials, packaging components and cleaning (residue) samples, if applicable, should be implemented at the testing laboratory before testing of samples for process validation studies is performed by the RU.  The analytical methods transfer protocol should include ;  Description of the objective  Scope and responsibilities of the SU and the RU  A specification of materials and methods  The experimental design and acceptance criteria  Documentation 40
  • 41. Procedure for the handling of deviations References Signed approval Details of reference Samples (starting materials, intermediates and finished products) 41
  • 42. provide method-specific trainingfor analysts and other quality control staff, if required review analytical methods providedby the SU assist in analysis of QC testing results ensure that the necessary equipmentfor QC is available and qualified at the RU site define all methods to be transferredfor testing a given product ensure that adequately trained and experienced personnel are in placefor analytical testing define experimental design,sampling methods and acceptancecriteria execute the transfer protocol provide details of the equipment used,as necessary perform the appropriate level of validation to support the implementation of the methods provide approved procedures usedin testing generate and obtain approval of transfer reports review and approve transferreports RU responsibilities 42 SU responsibilities
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  • 49. References: 1. A Textbook of Industrial Pharmacy-II, By, Dr. K. P. Sampath Kumar, Dr. Debjit Bhowmik, Rishab Bhanot, Shambaditya Goswami, Nirali Prakashan, age No. 2.1 to 2.14. 2. A Textbook of Industrial Pharmacy-II, By, Dr. Ashok A. Hajare, Nirali Prakashan, Page No. 2.1 to 2.54. 3. www.google.com.