COMMON TECHNICAL DOCUMENTS For Industry - Nigeria
COMMON TECHNICAL DOCUMENTS For Industry - Nigeria
COMMON TECHNICAL DOCUMENTS For Industry - Nigeria
(NAFDAC)
SEPTEMBER 2013
1
INTRODUCTION
This is the Guidance Document for the Common Technical Documents (CTD) that will be used by an applicant wishing to submit a Drug Application to the
National Agency for Food and Drug Administration and Control (NAFDAC).
This Common Technical Document therefore provides guidance for and recommendation to applicants who intend to secure marketing authorization for
Pharmaceutical products for use in Nigeria.
It also provides recommendation for the organization of dossiers for submission based on the International Conference on Harmonization (ICH)
requirements for Registration of Pharmaceuticals for Human use, and the World Health Organization (WHO) Guidelines on submission of Documentation
for Pre-qualification of multi-source Finished Pharmaceutical Products (FPP).
These guidelines will form the basis for dossier evaluation. It is therefore expected that all applicants comply and do not attempt to modify the general
organization, which has the potential to delay the application or lead to its rejection.
Detailed information, which may include studies required, data obtained, expert comments, references and other technical contents may be added as
addendum to the document which is expected to be presented in this approved format.
Data, information and analysis that is to be submitted must be based on current scientific knowledge, specifications, standards, process and procedures
and must be appropriately referenced.
Two hard copies of the CTD should be submitted and an electronic submission either in Portable Document Format (PDF) or on a CD- Rom.
The study reports of the non- Clinical Documentation part may not be required for New Chemical Entities (NCE), Biotechnology Products and major
Variations products if the original products are already registered and approved in Country of origin. NAFDAC may require specific study report which
applicants will be required to submit.
It is envisaged that CTD format will significantly reduce the time and resources needed to develop dossiers and file applications for registration in
Nigeria and ultimately in ECOWAS,
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The CTD is organized in five parts
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ABBREVIATIONS
4
POM Prescription Only Medicines
5
GLOSSARY
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.
Authorized person
The person recognized by the National Regulatory Authority as having the responsibility for ensuring that each batch of finished product has been
manufactured, tested and approved for release in compliance with the laws and regulations in force in that country.
Applicant: A person who owns a formula or trademark of a product, who may be a manufacturer or a person to whose order and specifications the
product is manufactured and who shall be the registration holder and have the primary responsibility of the product on the Nigerian market
Batch records
All documents associated with the manufacture of a batch of bulk product or finished product. They provide a history of each batch of product and of
all circumstances pertinent to the quality of the final product.
Bio-equivalence: Two pharmaceutical products are bioequivalent if they are pharmaceutically equivalent or alternatives and their bioavailability (rate
and extent of availability), after administration in the same molar dose, are similar to such a degree that their effects can he expected to be
essentially the same
Drug Master File: A drug master file (DMF) is a master file that provides a full set of data on an API. In some countries, the term may also comprise
data on an excipient or a component of a product such as a container.
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Finished product
A finished dosage form that has undergone all stages of manufacture, including packaging in its final container and labeling.
Intermediate product
Partly processed product that must undergo further manufacturing steps before it becomes a bulk product.
Manufacture
All operations of purchase of materials and products, production, quality control, release, storage and distribution of pharmaceutical products, and the
related controls.
A legal document issued by the competent drug Regulatory Authority that establishes the detailed composition and formulation of the product and the
pharmacopoeia or other recognized specifications of its ingredients and of the final product itself, and includes details of packaging, labeling and shelf-
life
Master formula
A document or set of documents specifying the starting materials with their quantities and the packaging materials, together with a description of the
procedures and precautions required to produce a specified quantity of a finished product as well as the processing instructions, including the in-process
controls.
Master record
A document or set of documents that serve as a basis for the batch documentation
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Pharmaceutical product
Any material or product intended for human or veterinary use presented in its finished dosage form or as a starting material for use in such a dosage
form, that is subject to control by pharmaceutical legislation in the exporting state and/or the importing state.
All operations involved in the preparation of a pharmaceutical product, from receipt of materials, through processing, packaging and repackaging, labeling
and re-labelling, to completion of the finished product
Specification
A list of detailed requirements with which the products or materials used or obtained during manufacture have to conform. They serve as a basis for
quality evaluation
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).
Certain SOPs may be used to supplement product-specific master and batch production documentation.
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PART ONE
GENERAL PRINCIPLES
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LANGUAGE
The official language in Nigeria - English, has to be used for all applications and supporting documents. In cases where there is the need to translate
any document from its original language into the other English language, the accuracy of the translations is the responsibility of the applicant.
DATA PRESENTATION
For all printed submissions, all information, data, tables, diagrams, attachments must be legible, of font size of 12 or more and shall be presented on
A4 and 80g/mpaper. All pages shall be numbered appropriately with the format page x of y to facilitate easy reference. Each section of the
dossier must have a table of content and must be accurately referenced. Acronyms and abbreviation should be defined the first time they are used
in each part.
Dossiers could be submitted in separately bound volumes for the different parts but shall be numbered serially (e.g. Vol.1 of 2) for ease of
reference.
Classes of Applications
Applications shall be classified into three (3)
New Applications
Renewal of applications
Variation of Applications
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New Applications
Applications for the registration of a pharmaceutical product submitted to NAFDAC for the very first time shall be considered a new application. In
addition to the dossier submitted, the applicant shall provide
i. Artwork and Label of the commercial pack of the product, with batch certificates of analysis.
ii. Certificate of Pharmaceutical Product issued in accordance with the format approved by the WHO and issued by the competent drug
regulatory authority of the country of Origin / Manufacture.
iii. A site master file of the plant in which the product was manufactured.
iv. For New Chemical Entities (NCEs) and innovator products, the pharmacovigilance plan shall be submitted.
v. Other documentation requirements as stated in the Guidelines for Registration of Medicines.
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SUBMISSION OF APPLICATION
Applications for the registration of products for market authorization being sought shall be made to the Director General of NAFDAC, attention
Director, Registration and Regulatory Affairs, in accordance with the approved format.
APPLICATION FEES
Application fees shall be paid for each application submitted. This shall be in the form of NAFDAC Teller, to the account designated by NAFDAC.
Evaluation process
NAFDAC will assign application numbers serially to applications received and evaluate them on a first in first out (FIFO) basis.
A committee of experts will be constituted at NAFDAC made up of Regulatory Officers from the Registration and Regulatory Affairs Directorate
and other Technical Directorates of NAFDAC. Where necessary, specialists will be consulted for professional opinion on various sections of the
dossiers. The evaluation will be done by these evaluators using this Guideline and the Standard Operating Procedures for evaluation of dossiers.
Additional information may be requested for during evaluation and if no response is received within six months of the request, the application will be
discontinued. For applications made to NAFDAC, laboratory analysis based on the validated in-house or pharmacopoeia methods submitted by
applicants shall be performed in accordance with approved SOP in NAFDAC Quality Control Laboratories.
For purposes of verification of compliance to cGMP, all applications shall be accompanied by a Site Master File. An inspection will be conducted by
NAFDAC. Decisions on registration shall be based on the dossier evaluation report, quality control report and inspection report on compliance to
cGMP.
TIMELINES
Complete applications for Fast-tracked registration (Locally manufactured and Priority Medicines only), Post Approval Variation and Renewal of
registration will be processed within 90 working days of receiving the applications.
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WITHDRAWAL OF AN APPLICATION
When the applicant fails to submit written responses to queries within 6 months from the date of their issuance, it will be deemed that the
applicant has withdrawn the application or if the queries have been reissued for a second time and the applicant provides unsatisfactory responses,
the product will be disqualified and the application will be rejected. The applicant will be required to apply afresh.
VALIDITY OF REGISTRATION
The registration of a pharmaceutical product at NAFDAC shall be valid for five (5) years unless otherwise suspended or revoked or withdrawn by
applicant / NAFDAC.
APPEALS
Any person aggrieved by a decision in relation to any application for marketing authorization of a pharmaceutical product may within two (2) months
from the date of notice of the decision, make representations in writing to NAFDAC and submit additional data to support the appeal
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PART TWO
ADMINISTRATIVE INFORMATION
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2.0 ADMINISTRATIVE INFORMATION
This part shall be submitted in a firmly bound dossier and as a Microsoft Word document on a CD-ROM. Any cross references made to other sections of
the dossier must be clearly indicated.
2.1 Application/Application/Manufacturer
(a) An application for registration of a drug product shall be made by the manufacturer.
(b) In case of a manufacturer outside Nigeria such shall be represented in Nigeria by a duly registered pharmaceutical company.
(c) An applicant for a manufacturer outside Nigeria, must file evidence of Power of Attorney from the manufacture- which authorizes him to speak for
his principal on all matters relating to the latters specialties. The original Power of Attorney is to be notarized and submitted to NAFDAC. Or
(d) Contract Manufacturing Agreement where applicable. This should be notarized and submitted to NAFDAC.
NOTE:
The representative in Nigeria, whether a corporate body or an individual with the power of attorney, will be held responsible for ensuring that the
competent authority in the country is informed of any serious hazard newly associated with a product imported under the provisions of the decree or of
any criminal abuse of the certificate in particular to the importation of falsely labeled, spurious, counterfeited or sub-standard medicinal products.
(d) The manufacturer, in the case of imported drug products (from India and China only), must show evidence that he or she is licensed to manufacture
drugs for sale in the country of origin (Manufacturers Certificate). Such evidence must be by the competent Health Authority in the country of
manufacture, and shall be authenticated by the Nigerian Mission in that country. In countries where no Nigerian Embassy or High Commission exists, any
other Embassy or High Commission of any Commonwealth or West African country can authenticate.
2. (a) The applicant must submit to the office of the Director (Registration and Regulatory Affairs), a written application, stating name of the
manufacturer, generic name (brand name, where applicable) strength, indications and obtain the prescribed application form which must be properly
filled with all information required. The application form shall be obtained on the NAFDAC Automated Product Administration and Monitoring System
(NAPAMS) e-Registration Platform at registration.nafdac.gov.ng.
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(b) A separate application form shall be submitted for each drug product. In this context, a drug product means a separate drug formulation.
However the application for registration of one dosage form with different strengths shall be made on a separate application form.
Trade /Proprietary name mean the trade or brands name which has been given by the applicant to a particular product and by which it is generally
identified. Where a trademark is registered in a particular country or region, evidence must be provided.
The /INN/generics name of a product is the internationally recognized non-proprietary name of the product. .
Strength of the product shall be given per unit dosage form or per specified quantity: e.g. mg per tablet, mg per capsule, mg/ml per 5ml, mg per G, etc.
Dosage form of the product is the pharmaceutical form in which the product is presented, e. g solution, suspension, eye drops, emulsion, ointment,
suppository, tablet, capsule, etc. For injections, the type of presentation (e.g. vial, ampoule, dental cartridge, etc) and the type of content (e.g. powder
for reconstitution, solution, suspension, oily solution etc) shall also be stated.
Packaging/Pack size of the product shall mean the quantity of units per the package in which the product is to the registered and marketed in the
region.
Visual Descriptions of the product means a full visual description of the drug unit such as colour, size shape and other relevant features,
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Proposed Shelf life of a product(s) means the specified length of time prior to use for which pharmaceutical products are inherently subject to
deterioration are deemed to remain fit for use under prescribed conditions.
The pharmacotherapeutic group is the therapeutic group in which the product has been put, and which is supported by specific indication(s) and relevant
information provided in part 3 and 5 of the dossier. The Anatomical Therapeutic Chemical (ATC) Classification System is used for the classification of
drugs. The classification system divides drugs into different groups according to the organ or system on which they act and / or their therapeutic and
chemical characteristics.
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Where necessary the certificate of pharmaceutical product from the registering Authority shall be submitted in the dossier and appropriately
referenced.
Name of the Manufacturer Full Physical address of the Activity at the site
Manufacturing Site
2.15 GMP Status of the Manufacturer and GCP/GLP Status of the Clinical Research Organisation / Laboratory
For applications from a new manufacturing site, NAFDAC may conduct inspection of the site or use the report of joint inspection by WAHO, or use
other means to verify whether the facility complies with current Good Manufacturing Practices (cGMP), Good Clinical Practices or Good Laboratory
Practices Regulations and/or guidelines.
2.16.1 Product Information for Health Professionals (For All Products subject to Medical Prescription)
Proposed Summary of Product Characteristics (SPC) aimed at Medical practitioners and other health practitioners and approved by competent authority
of the Country of Origin at the time of licensing. Post approval changes to the SPC cannot be made without the consent of NAFDAC as appropriate.
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2.17.2 Patient Information Leaflet (For All Products not subject to Medical Prescription)
Provide copies of all package inserts and any information intended for distribution with the product to the patient. The patient information leaflet (PIL)
should be in conformity with the SPC. It should be written in English and should be legible, indelible and comprehensible.
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PART THREE
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3.1
This section of the dossier follows ICH: M4Q and provides a harmonized structure and format for presenting CMC (Chemistry, Manufacturing and
Controls) information. The table of contents for this section should include information on Drug Substance, Drug Product and Pharmaceutical
Development.
Any information provided here must be appropriately cross-referenced to the dossier by clearly indicating to volume, page number in other Parts.
3.2 INTRODUCTION
The introduction should include proprietary name, non-proprietary name or common name of the drug substance, company name, dosage form(s),
strength(s), route(s) of administration, and proposed indication(s).
A brief description of the manufacturing process (including, for example, reference to starting materials, critical steps, and reprocessing) and the
controls that are intended to result in the routine and consistent production of material(s) of appropriate quality; this could be presented as a flow
diagram.
A description of the Source and Starting Materials and raw materials of biological origin used in the manufacture of the drug substance.
A discussion of the selection and justification of critical manufacturing steps, process controls, and acceptance criteria and highlight critical process
intermediate as described in Part 4.
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A description of process validation and/or evaluation as described in Part 4.
A brief summary of major manufacturing changes made throughout development and conclusions from the assessment used to evaluate product
consistency as described in Part 4.
The QOS should also cross-refer to the non-clinical and clinical studies that used batches affected by these manufacturing changes, as provided in
the Part5 of the dossier.
c. Characterization
For chemical entities (CE), a summary of the interpretation of evidence of structure, chirality and isomerism, as described in part 4 should be included.
When a drug substance is chiral, it should be specified whether specific stereo-isomers or a mixture of stereo-isomers have been used in the nonclinical
and clinical studies, and information should be given as to the stereoisomer of the drug substance that is to be used in the final product intended for
marketing.
For Biotechnology entities, a description of the desired product and product-related substances and a summary of general properties, characteristic
features and characterization data (for example, primary and higher order structure and biological activity), as described in 4, should be included.
For both Chemical and Biotech entities, QOS should summarize the data on potential and actual impurities arising from the synthesis, manufacture
and/or degradation, and should summarize the basis for setting the acceptance criteria for individual and total impurities. The QOS should also
summarize the impurity levels in batches of the drug substance used in the non-clinical studies, in the clinical trials, and in typical batches manufactured
by the proposed commercial process. The QOS should state how the proposed impurity limits are qualified.
A tabulated summary of the data provided in Part 4 with graphical representation, where appropriate should be included.
g. Stability
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This section should include a summary of the studies undertaken (conditions, batches, analytical procedures) and a brief discussion of the results and
conclusions, the proposed storage conditions, retest date or shelf-life, where relevant, as described in Part 4 The post-approval stability protocol, as
described in 4, should be included.
A tabulated summary of the stability results from Part 4, with graphical representation where appropriate, should be provided.
b. Pharmaceutical Development
A discussion of the information and data from Part 4 should be presented. A tabulated summary of the composition of the formulations used in clinical
trials and a presentation of dissolution profiles should be provided, where relevant.
c. Manufacture
Information from Part 4 should include information on the manufacturer, a brief description of the manufacturing process and the controls that are
intended to result in the routine and consistent production of product of appropriate quality.
This may be presented as a flow diagram
A brief description of the process validation information, as described in Part 4
d. Control of Excipients
A brief summary on the quality of excipients, as described in Part 4 should be included.
h. Stability
A summary of the studies undertaken (conditions, batches, analytical procedures) and a brief discussion of the results and conclusions of the stability
studies and analysis of data should be included. Conclusions with respect to storage, conditions and shelf-life, if applicable, in-use storage conditions and
shelf-life should be given. A tabulated summary of the stability results from 4. , with graphical representation where appropriate, should be included.
The post-approval stability protocol, as described in Part 4 should be provided.
General Principles of Non-clinical Overview and Summaries The primary purpose of the Non-clinical Written and Tabulated Summaries is to provide a
comprehensive factual synopsis of the nonclinical data. The interpretation of the data, the clinical relevance of the findings, cross-linking with the
quality aspects of the pharmaceutical, and the implications of the nonclinical findings for the safe use of the pharmaceutical (i.e., as applicable to
labeling) should be addressed in the Overview.
a. NON-CLINICAL OVERVIEW
The Nonclinical Overview should provide an integrated overall analysis of the information in the Common Technical Document. In general, the Nonclinical
Overview should not exceed about 30 pages.
General Aspects
The Non-clinical Overview should present an integrated and critical assessment of the pharmacological, pharmacokinetic, and toxicological evaluation of
the pharmaceutical. Where relevant guidelines on the conduct of studies exist, these should be taken into consideration, and any deviation from these
guidelines should be discussed and justified. The nonclinical testing strategy should be discussed and justified. There should be comment on the GLP
status of the studies submitted. Any association between nonclinical findings and the quality characteristics of the human pharmaceutical, the results of
clinical trials, or effects seen with related products should be indicated, as appropriate.
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Except for biotechnology-derived products, an assessment of the impurities and degradatory products present in the drug substance and product should
be included along with what is known of their potential pharmacological and toxicological effects. This assessment should form part of the justification
for proposed impurity limits in the drug substance and product, and be appropriately cross-referenced to the quality documentation. The implications of
any differences in the chirality, chemical form, and impurity profile between the compound used in the nonclinical studies and the product to be
marketed should be discussed. For biotechnology-derived products, comparability of material used in nonclinical studies, clinical studies, and proposed
for marketing should be assessed. If a drug product includes a novel excipient, an assessment of the information regarding its safety should be
provided. Relevant scientific literature and the properties of related products should be taken into account. If detailed references to published
scientific literature are to be used in place of studies conducted by the applicant, this should be supported by an appropriate justification that reviews
the design of the studies and any deviations from available guideline. In addition, the availability of information on the quality of batches of drug
substance used in these referenced studies should be discussed. The Nonclinical Overview should contain appropriate reference citations to the
Tabulated Summaries.
Studies conducted to establish the pharmacodynamic effects, the mode of action, and potential side effects should be evaluated and consideration
should be given to the significance of any issues that arise. The assessment of the pharmacokinetic, toxicokinetic, and metabolism data should address
the relevance of the analytical methods used, the pharmacokinetic models, and the derived parameters. It might be appropriate to cross-refer to more
detailed consideration of certain issues within the pharmacology or toxicology studies (e.g. impact of the disease states, changes in physiology, anti-
product antibodies, cross-species consideration of toxicokinetic data). Inconsistencies in the data should be discussed. Inter-species comparisons of
metabolism and systemic exposure comparisons in animals and humans (AUC, Cmax, and other appropriate parameters) should be discussed and the
limitations and utility of the nonclinical studies for prediction of potential adverse effects in humans highlighted. The onset, severity, and duration of
the toxic effects, their dose-dependency and degree of reversibility (or irreversibility), and species- or gender-related differences should be evaluated
and important features discussed, particularly with regard to:
-Pharmacodynamics -toxic signs
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-causes of death
-pathological findings
-genotoxic activity - the chemical structure of the compound, its mode of action, and its -relationship to known genotoxic compounds
-carcinogenic potential in the context of the chemical structure of the compound, its -relationship to known carcinogens, its genotoxic potential, and the
exposure data.
-the carcinogenic risk to humans - if epidemiological data are available, they should be taken into account.
-fertility, embryo-fetal development, pre-and post-natal toxicity
-studies in juvenile animals
-the consequences of use before and during pregnancy, during lactation, and during pediatric development
-local tolerance
-other toxicity studies/ studies to clarify special problems
The evaluation of toxicology studies should be arranged in a logical order so that all relevant data elucidating a certain effect / phenomenon are brought
together. Extrapolation of the data from animals to humans should be considered in relation to:
If alternatives to whole-animal experiments are employed, their scientific validity should be discussed. The Integrated Overview and Conclusions should
clearly define the characteristics of the human pharmaceutical as demonstrated by the nonclinical studies and arrive at logic al, well-argued conclusions
supporting the safety of the product for the intended clinical use. Taking the pharmacology, pharmacokinetics, and toxicology results into account, the
implications of the nonclinical findings for the safe human use of the pharmaceutical should be discussed (i.e., as applicable to labeling).
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b. NONCLINICAL WRITTEN AND TABULATED SUMMARIES
Introduction
This guideline is intended to assist authors in the preparation of nonclinical pharmacology, pharmacokinetics, and toxicology written summaries in an
acceptable format. This guideline is not intended to indicate what studies are required. It merely indicates an appropriate format for the nonclinical
data that have been acquired. The sequence and content of the Nonclinical Written Summary sections are described below. It should be emphasized
that no guideline can cover all eventualities, and common sense and a clear focus on the needs of the regulatory authority assessor are the best guides
to constructing an acceptable document. Therefore, applicants can modify the format if needed to provide the best possible presentation of the
information, in order to facilitate the understanding and evaluation of the results. Whenever appropriate, age- and gender-related effects should be
discussed. Relevant findings with stereoisomers and/or metabolites should be included, as appropriate. Consistent use of units throughout the
Summaries will facilitate their review. A table for converting units might also be useful. In the Discussion and Conclusion sections, information should be
integrated across studies and across species, and exposure in the test animals should be related to exposure in humans given the maximum intended
doses.
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The following order is recommended:
-Introduction
-Written Summary of Pharmacology
-Tabulated Summary of Pharmacology
-Written Summary of Pharmacokinetics
-Tabulated Summary of Pharmacokinetics
-Written Summary of Toxicology
-Tabulated Summary of Toxicology
Introduction
The aim of this section should be to introduce the reviewer to the pharmaceutical and to its proposed clinical use. The following key elements should be
covered:
-Brief information concerning the pharmaceuticals structure (preferably, a structure diagram should be provided) and pharmacologic properties.
-Information concerning the pharmaceuticals proposed clinical indication, dose, and duration of use.
Brief Summary
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The principal findings from the pharmacology studies should be briefly summarized in approximately 2 to 3 pages. This section should begin with a brief
description of the content of the pharmacologic data package, pointing out any notable aspects such as the inclusion/exclusion of particular data (e.g.,
lack of an animal model).
Primary Pharmacodynamics
Studies on primary pharmacodynamics* should be summarised and evaluated. Where possible, it would be helpful to relate the pharmacology of the drug
to available data (in terms of selectivity, safety, potency, etc.) on other drugs in the class.
Secondary Pharmacodynamics
Studies on secondary pharmacodynamics* should be summarised by organ system, where appropriate, and* evaluated in this section. *Reference: See
ICH Guideline S7, Safety Pharmacology Studies for Human Pharmaceuticals,
Safety Pharmacology
Safety pharmacology studies* should be summarised and evaluated in this section. In some cases, secondary pharmacodynamic studies can contribute to
the safety evaluation when they predict or assess potential adverse effect(s) in humans. In such cases, these secondary pharmacodynamic studies
should be considered along with safety pharmacology studies.
If they have been performed, pharmacodynamic drug interaction studies should be briefly summarised in this section.
Brief Summary
The principal findings from the pharmacokinetics studies should be briefly summarized in approximately 2 to 3 pages. This section should begin with a
description of the scope of the pharmacokinetic evaluation, emphasizing, for example, whether the species and strains examined were those used in the
pharmacology and toxicology evaluations, and whether the formulations used were similar or identical.
Methods of Analysis
This section should contain a brief summary of the methods of analysis for biological samples, including the detection and quantification limits of an
analytical procedure. If possible, validation data for the analytical method and stability of biological samples should be discussed in this section. The
potential impact of different methods of analysis on the interpretation of the results should be discussed in the following relevant sections.
Absorption
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Distribution
Excretion
If they have been performed, nonclinical pharmacokinetic drug-interaction studies (in vitro and/or in vivo) should be briefly summarised in this section.
Other Pharmacokinetic Studies
If studies have been performed in nonclinical models of disease (e.g., renally impaired animals), they should be summarised in this section.
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Discussion and Conclusions
This section provides an opportunity to discuss the pharmacokinetic evaluation and to consider the significance of any issues that arise.
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PART 4
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4.0 Purpose
This part is intended to provide guidance on the format of a registration application for drug substances and their corresponding drug products as
defined in the scope of the ICH guidelines Q6 A (NCE) and ICH guideline Q 6 B (biotech). This format may also be appropriate for certain other
categories of products though it has been modified to suit generic drug applications.
The Body of data in this guideline merely indicates where the information should be located. Neither the type nor extent of specific supporting data
has been addressed in this guideline.
The information on the API can be submitted according to the following order of preference:
Provide the latest, valid Certificate of suitability with all appendices. The information, which may not be covered by the Certificate, should be
provided under points 4.1.1.
Provide a drug master files(s) (DMF (s) submitted by the API manufacturer, provided that the DMF contains all the information listed under
section 4.1.1
By completing section 4.1.4 in this case, the API manufacturer should provide a signed declaration that the synthesis and subsequent purification
is conducted in accordance with what is presented in the dossier.
For a drug product containing more than one drug substance, the information requested for module labeled particulars of active pharmaceutical
ingredient(s) {API(s)}/ Drug substance should be provided in its entirety for each drug substance.
Information on the nomenclature of the drug substance should be provided, for example:
Recommended International Nonproprietary Name (INN)
Compendial name if relevant
Chemical name(s)
Company or laboratory code
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4.1.2 Structure
The structural formula, including relative and absolute stereochemistry, the molecular formula, and the relative molecular mass should be provided
Supportive data and results from specific studies or published literature can be included within or attached to this section.
State the name and street address of each facility where manufacture (synthesis, production) of API occurs, including contractors, and each proposed
production site or facility involved in manufacturing and testing should be provided. Provide phone number(s) and E-mail addresses. Include any
alternative manufacturers.
Provide a valid manufacturing Authorization for the production of APIs. If available, attach a certificate of GMP compliance
The description of the drug substance manufacturing process represents the applicants commitment for the manufacture of the drug substance.
Information should be provided to adequately describe the manufacturing process and process control. For example, a flow diagram of the synthetic
process(es) should be provided that includes molecular formulae, weights, yield ranges, chemical structures of starting materials, intermediates,
reagents and drug substance reflecting stereochemistry, and identified operating conditions and solvents.
Reprocessing steps should be identified and justified and any data to support this justification should be either referenced.
Provide specifications for starting materials, reagents, solvents, catalysts, and intermediate (if isolated during the process) in the synthesis. Provide
information demonstrating that materials meet standards appropriate for their intended use (including the clearance or control of adventitious agents)
as appropriate.
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c. Control of materials
Materials used in the manufacture of the substance (e.g. raw materials, starting materials, solvents, reagents, catalysts) should be listed identifying
where each material is used in the process. Information on the quality and control of these materials should be provided. Information demonstrating
that materials (including biologically-sourced materials, e.g. media components, monoclonal antibodies, enzymes) meet standards appropriate for their
intended use (including the clearance or control of adventitious agents) should be provided as appropriate. For biologically-sourced materials, this can
include information regarding the source, manufacture, and characterization.
A description and discussion should be provided of the significant changes made to the manufacturing process and/or manufacturing site of the drug
substance used in producing non-clinical, stability, scale-up, pilot, and , if available, production scale batches.
Explain alternate processes and describe with the same level of detail as the primary process. It should be demonstrated that batches obtained by
alternate process have the same impurity profile as the principal process. If the obtained impurity profile is different, it should be demonstrated as to
be acceptable according the requirements described further in the text for impurities
Reprocessing steps should be identified and justified. Any data to support this justification should be either reference or submitted.
Provide external environmental impact statement (aquatic, atmospheric and terrestrial environment, potential for harm, disposal sites and methods)
e. Characterization of API
Confirmation of structure based on eg. Synthetic route and spectral analyses should be provided. Information such as the potential for isomerism, the
identification of stereochemistry, or the potential for forming polymorphs should be included..
Impurities
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Identification of potential and actual impurities arising from the synthesis, manufacture and/or degradation:List of impurities (e.g starting materials,
by-products, intermediates, chiral impurities degradation products) including chemical name, structure and origin.
Unreacted intermediate(s)
By-products(s)
Reagent(s)
Catalyst(s)
Residual solvent(s)
Potential degradant(s)
Maximum daily dose (ie the amount of API administered per day) ICH reporting/identification /qualification. Thresholds for drug-related impurities, and
concentration limits (ppm) for process limited impurities (eg residual solvents):
Data on observed impurities for relevant FPP batches (eg clinical comparative)
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Impurity (API-and process- Acceptance Results
related criteria
[FPP batch number and use (eg clinical
comparative)]
Include strength, if reporting impurity levels found in the FPP (e.g. for comparative studies).
Specification of the drug substance-The specification for the drug substance should be provided
Characterize and analyze synthesis impurities, including residual solvents, which may be present in API. Particular attention should be given to justify
cases where testing for possible impurities are omitted eg due to the fact that the impurity has not been detected in any batches or will not potentially
be present due to a particular method of production.
Provide analytical validation information, including experimental data for the analytical procedures used for testing the API and impurities. Test
methods in sufficient detail for them to be replicated by another laboratory.
Provide information on the preparation and studies to establish the identity, purity and assay value of in-house primary (absolute) and secondary
(working) standards. Submit certificate of analysis (CoA) of in-house primary standards for use in assays, including;
Provide verified certificates of analysis for at least two batches produced at each site of manufacture by each synthetic method, including results for
impurities.
Provide a copy of the monograph together with any test methods referenced in the monograph but not appearing in it. Note that the current monograph
should always control the quality of the API.
38
The quality of the API should meet not only the requirements of specific monographs but also those described in the general monographs of a
pharmacopoeia on APIs, excipients and other substances for pharmaceutical use.
Tests and limits should, as a minimum, comply with the relevant pharmacopoeial requirements. Whenever, an API has been prepared by a method liable to
leave impurities not controlled in the pharmacopoeial monograph, these impurities (based on 3 to 10 batch analysis results) including residual organic
solvent, as well as their maximum tolerance limits should be declared and controlled by a suitable test procedure.
Provide details of certificates of analysis for at least two batches produced at each site of manufacture by each synthetic method, including results for
impurities.
The analytical procedures used for testing the drug substance should be provided.
Analytical validation information, including experimental data for the analytical procedures used for testing the drug substance should be provided.
Information on the reference standards or reference materials used for testing of the drug substance should be provided.
A description of the container closure system(s) should be provide, including the identity of materials of construction of each primary packaging
component, and their specifications. The specifications should include description and identification (and critical dimensions with drawings, where
appropriate). Noncompendial methods (with validation) should be included, where appropriate.
For non-functional secondary packaging components (e.g. those that do not provide additional protection) only a brief description should be provided. For
functional secondary packaging components, additional information should be provided.
39
The suitability should be discussed with respect to for example, choice of materials, protection from moisture and light, compatibility of the materials
of construction with the drug substance, including sorption to container and leaching, and/or or safety of materials of construction.
The types of studies conducted, protocols used, and the results of the studies should be summarized. The summary should include results, for example,
forced degradation studies and stress conditions, as well as conclusions with respect to storage conditions and retest date or shelf-life as appropriate.
The post approval stability protocol and stability commitment should be provided.
c. Stability data
Results of eh stability studies (e.g. forced degradation studies and stress conditions) should be presented in an appropriate format such as tabular,
graphical narrative. Information on the analytical procedures used to generate the data validation of the procedures should be included.
For APIs not described in an official pharmacopoeial monograph, there are two options:
When available, it is acceptable to provide the relevant data published in the peer review literature to support the proposed degradation
pathways.
When no data are available in the scientific literature, including official pharmacopoeias, stress testing should be performed. Results from these
studies will form an integral part of the information provided to WAHO or the NMRA.
40
d. Regulatory stability testing
Summarize the stability testing program and report the results of stability testing of not less than three (minimum one production scale and two pilot
scale) batches of the API as described in Annex 11. The data for each attribute should be discussed; trends, analyzed and a re-test date should be
proposed. Information on the analytical procedures used to generate the data and validation of these procedures should be included.
Describe the methodology used during stability studies; if this is identical to methodology described elsewhere in the dossier, a cross-reference will
suffice. If different methodology was used, provide validation of tests of impurities including degradants and for other tests as necessary.
Provide the post-approval stability protocol and stability testing commitment, when applicable.
A strong statement should be proposed for the labeling (if applicable) which should be based on the stability evaluation of the API
A description of the FPP or drug product and its composition should be provided.
Composition ie. List of all components of the dosage form, and their amount on a per-unit basis (including overages, if any) the function of the
components, and a reference to their quality standards (eg compendial monographs or manufacturers specifications)
Description of accompanying reconstitution diluent(s) and
Type of container and closure used for the dosage form and accompanying reconstitution diluent, if applicable.
For a drug product supplied with reconstitution diluents(s) the information on the diluent(s) should be provided in a separate part p as
appropriate.
41
The pharmaceutical development section should contain information on the development studies conducted to establish that the dosage form, the
formulation, manufacturing process, container closure system, microbiological attributes and usage instructions are for the purpose specified in the
application. The studies described here are distinguished from routine control tests conducted according to specifications.
Additionally, this section should identify and describe the formulation and process attributes (critical parameters) that can influence batch
reproducibility, product performance and drug product quality. Supportive data results from specific studies or published literature can be included
within or attached to the pharmaceutical development section. Additional supportive data can be referenced to the relevant nonclinical or clinical
sections of the application.
The compatibility of the drug substance with excipients listed should be discussed. Additionally, key physicochemical characteristic (eg water, content,
solubility, and particle size distribution, polymorphic or solid state form) of the drug substance that can influence the performance of the drug product
should be discussed.
For combination products, the compatibility of drug substances with each other should be discussed.
a. Excipients
The choice of excipients their concentration and their characteristics that can influence the drug product performance should be discussed relative to
their respective functions.
a. Formulation development
A brief summary describing the development of the drug product should be provided, taking into consideration the proposed route of administration and
usage. The differences between clinical formulations and the formulation (ie composition) described should be discussed. Results from comparative in-
vitro studies (eg dissolution), or comparative in- vivo studies (eg. Bioequivalence) should be discussed when appropriate.
42
b. Overages
The selection and optimization of the manufacturing process described, in particular its critical aspects, should be explained. Where relevant, the
method of sterilization should be explained and justified.
Differences between the manufacturing process(es) used to produce pivotal clinical batches and the process described that can influence the
performance of product should be discussed.
Provide the formulation in tabular form for a typical batch and for an administration unit, eg one tablet 5 ml of oral solution, or the contents of an
ampoule or bag of large volume parenteral solution.
Include excipients that may be removed during processing, those that may not be added to every batch (eg acid and alkali) and the qualitative and
quantitative composition of any tablet coating, capsule shell and inked imprint on the dosage form, state and justify any overages. State the function(s)
of each excipient (eg antioxidant, lubricant and binder).
Where applicable special technical characteristics of excipients should be indicated, e.g. lyophilized, micronised, solubilized, emulsified. The type of
water (e.g. purified, demineralized) where relevant, should be indicated.
Indicate any substance whose content may be varied (e.g. inked imprint, tablet coating) ranges in the content of excipients need justification and
explanation how the content is decided for each batch
This section should identify, describe and document the formulation and process attributes (critical parameters) that can influence batch
reproducibility, product performance and FPP quality, including stability.
The compatibility of the API with excipient should be documented. Additionally, key physicochemical characteristic (e.g. water content,
solubility, and particle size distribution, polymorphic or solid state form) or the APl that can influence the performance of the FPP should be
discussed and supported by experimental data.
43
The choice of excipients, in particular their functions and concentrations should be documented.
For fixed dose combination products, the compatibility of APIs with each other should be studied and the results documented.
A discriminating dissolution method should be developed for the final composition of the FPP, when applicable. Limits should be set for each API
in fixed-dose FPPs. The dissolution method should be incorporated into the stability and quality control programs. Multipoint dissolution profiles
of both the test and the reference FPPs should be compared (multipoint; at least five). Dissolution testing should be incorporated into the
stability programme.
A brief summary describing the development of the FPP should be provided, taking into consideration the proposed route of administration and
usage
The selection and optimization of the manufacturing process, in particular its critical aspects, should be explained and documented. Where
relevant, the method of sterilization should be explained and justified
Any overages in the formulation(s) should be justified.
Where appropriate, the microbiological attributes of the dosage form should be discussed, including for example, the rationale for not
performing microbial limits testing for non-sterile products and the selection and effectiveness of preservative systems in products containing
antimicrobial preservatives. For sterile products, the integrity of the container closure system to prevent microbial contamination should be
addressed.
i. Usually, in this phase the microbial challenge test could be performed to establish and justify the amount of the antimicrobial preservatives to
be used. For this purpose, the drug product should be formulated with different concentrations of preservatives and a microbial challenges test
on each of the formulations will give the answer on the least necessary
ii. The compatibility of the FPP with reconstitution diluent(s) or dosage devices (e.g. precipitation of API in solution, adsorption on injection
vessels, stability) should be addressed to provide appropriate and supportive information for the labeling.
iii. A tabulated summary of the compositions of the FPP batches (batch number, batch size, manufacturing date and certificate of analysis at
batch release) used in clinical trials and in bioequivalence studies and a presentation of dissolution profiles must be provided. A discussion of
the documented information and data should be presented. Results from comparative in vitro studies (e.g. dissolution) or comparative in vivo
studies (e.g. bioequivalence) should be discussed when appropriate.
Packaging should be selected to ensure the quality of the FPP throughout its shell life.
Prospective validation is carried out during the development stage by means of a risk analysis of the production process, which is broken down into
individual steps. These are then evaluated on the basis of past experience to determine whether they might lead critical situations. Where possible
critical situations are identified, the risk is evaluated; the potential causes are investigated and assessed for probability and extent. The trial plans are
44
drawn up, and the priorities set. The trials are then performed and evaluated, and an overall assessment is made. If at the end, the results are
acceptable, the process is satisfactory. Unsatisfactory processes must be modified and improved until a validation exercise proves them to be
satisfactory.
The suitability of the containers closure system used for the storage, transportation (shipping) and use of the drug product should be discussed. This
discussion should consider, e.g. choice of material, protection from moisture and light, compatibility of the materials of construction with the dosage
form (including sorption of container and leaching) safety of materials of construction, and performance (such as reproducibility of the dose delivery
from the device when presented as part of the drug product).
a. Sites of manufacturer(s)
The name, address, and responsibility of each manufacturer, including contractors, and each proposed production site or facility involved in
manufacturing and testing should be provided.
State the name and street address of each facility where any aspect of manufacture of the FPP occurs, including production, sterilization, packaging and
quality control. Indicate the activity performed at each site. Provide phone number(s) fax numbers, website and e-mail address, include any alternative
manufacturing sites. For each site where the major production step(s) is/are carried out, attach an original certificate of a pharmaceutical product
(CPP) issued by the competent authority in terms of the WHO certification scheme on the quality of pharmaceutical products moving in international
commerce.
b. Batch formula
A batch formula should be provide that includes a list of components of the dosage form to be used in the manufacturing process, their amounts on a
per batch basis including overages, and a reference to their quality standards.
45
c. Description of manufacturing process and process controls
A flow diagram should be presented giving the steps of the process and showing where materials enter the process. The critical steps and points at
which process controls, intermediate tests or final product controls are conducted should be identified.
A narrative description of the manufacturing process, including packaging that represents the sequence of steps undertaken and the scale of production
should also be provided. Novel processes or technologies and packaging operations that directly affect product quality should be described with a
greater level of detail. Equipment should at least, be identified by type (e.g. tumble blend, in-line homogenizer) and working capacity, where relevant.
Steps in the process should have the appropriate process parameters identified, such as time, temperature, or pH. Associated numeric values can be
presented as an expected range. Numeric ranges for critical steps should be justified (e.g. blending parameter, loss on drying (LOD) of the compression
blend and in-process as well as final yields). In certain case, environmental conditions (e.g. experimentally documented temperature and relative humidity
for hygroscopic FPPs) should be stated.
Proposals for the reprocessing of materials should be justified. Any data to support this justification should be either referenced or filed.
Provide a copy of the master formula and a copy of a manufacturing record for a real batch.
For sterile products, details of sterilization process and/or aseptic procedures used must be described.
The stages of manufacture at which sampling is carried out for in-process control tests; should be indicated in this section. The in-process test should
be described in full, though reference to methods in other parts of the dossier or an acknowledged pharmacopoeia will suffice.
Documented evaluation of at least three production scale batches should be submitted to provide assurance that the manufacturing process will reliably
meet predetermined specifications
Critical steps: Test and acceptance criteria should be provided (with justification, including experimental data) performed at the critical steps of the
manufacturing process, to ensure that the process is controlled.
46
Intermediates: Information on the quality and control, of intermediates isolated during the process should be provided.
The specification(s) for the drug product should be provided. A list of general characteristics, specific standards, tests and limits for results for the
FPP must be provided. Two separate sets of specifications may be set out; at manufacture (at release) and at the end of shelf life. Justification for the
proposed specification should be provided.
All analytical test procedures, including biological and microbiological methods where relevant, must be described in sufficient detail to enable the
procedures to be repeated if necessary
If the product is tested on the basis of a monograph in a pharmacopoeia, it is sufficient to provide a copy of the monograph together with any test
methods referenced in the monograph but not appearing in it. Provide details of any specifications and test methods additional to those in the
pharmacopoeia.
Results of not less than three batch analyses (including the date of manufacture, place of manufacture, batch size and use of batch tested) must be
presented. The batch analysis must include the e results obtained for all specifications at release.
A description of the container closure system should be provided, including the identity of materials of construction of each primary packaging
component and its specification. The specifications should include description and identification (and critical dimensions, with drawings, where
appropriate)). Non-compendial methods (with validation) should be included where appropriate.
For non- functional secondary packaging components (eg those that neither provide additional protection nor serve to deliver the product), only a brief
description should be provided. For functional secondary packaging components, additional information should be provided. The suitability of the
container closure system used for the storage, transportation (shipping) and use of the FPP should be discussed. This discussion should consider, eg
47
choice of materials, protection from moisture and light, compatibility of the materials of construction with the dosage form ( including adsorption to
container and leaching ) safety of materials of construction, and performance ( such as reproducibility of the dose delivery from the device when
presented as part of the FPP).
The following minimum information shall be required on the label of the immediate packaging.
Any drug product whose name, package or label bears close resemblance to an already registered product or is likely to be mistaken for such a
registered product, shall not be considered for registration. Disputes regarding trademark infringements not identified by WAHO or NMRA at the time
of registration or amendment shall be the responsibility of the applicants. If however, valid safety concerns are identified, the new applicant shall be
advised to make appropriate amendments.
Due to lack of space, the date of manufacture, address of the manufacturer and storage conditions may be omitted on the primary container if it is a
blister or strip pack, or a vial or an ampoule less than 10ml. The name of the manufacturer may be substituted with a trade mark or other symbol.
Labels shall not contain material written or graphical that targets to directly promote use of the products by infants and children. Pictograms intended
to clarify certain information (e.g. age group for which product is intended; dosage etc) may be included on the product package. All particulars on the
label shall be easily legible, clearly comprehensible and indelible.
Labeling of outer packaging or, where there is no outer packaging, on the immediate packaging should include at least the following:
The labeled storage conditions should be achievable in practice in distribution network. For containers of less than or equal to 10ml capacity that
are marketed in an outer pack such as a carton, and the outer pack still bears the required information, the immediate container need only contain
items (i), (ii), (iii), (vi), (ix) and (x)- or all logos that unambiguously identifies the company and the name of the dosage form or the route of
administration.
The types of studies conducted, protocols used, and the results of the studies should be summarized. The summary should include, for example
conclusions with respect to storage and shelf-life and if applicable, in use storage conditions and shelf-life.
The design of the stability studies for the finished product should be based on knowledge of the behaviour and properties of the APl and the dosage
form.
When available long term stability data on primary batches do not cover the proposed re-test period granted at the time of approval, a commitment
should be made to continue the stability studies post approval in order to firmly establish the re-test period.
Where the submission includes long term stability data on three production batches covering the proposed re-test period, a post approval commitment
is considered unnecessary.
Shelf life acceptance criteria should be derived from consideration of all available stability information. The proposed storage conditions should be
achievable in practice.
The summary should include conclusions with respect to in-use storage conditions and shelf life, when applicable..
In general, a FPP should be evaluated under storage conditions (with appropriate tolerances) that test its thermal stability and, if applicable, its
sensitivity to moisture or potential of solvent loss. The storage conditions and the lengths of studies chosen should be sufficient to cover storage,
shipment, and subsequent use.
Stability testing of the finished product after constitution or dilution, if applicable, should be conducted to provide infor mation for the labeling of the
preparation, storage condition, and in use period of the constituted or diluted product. This testing should be performed on the constituted or diluted
50
product thorough the proposed in use period on primary batches as part of the formal stability studies at initial and final time points and if full shelf
life long term data will not be available before submission, at six months or the last time point for which data will be available,. In general, this testing
need not be repeated on commitment batches.
51
PART FIVE
52
Table of Contents of PART 5
A Table of Contents should be provided that lists all of the nonclinical and clinical study reports and gives the location of each study report in the
Common Technical Document
This guideline presents the organization o the nonclinical reports in the applications that will be submitted. This guideline is not intended to indicate
what studies are required. It merely indicates an appropriate format for the nonclinical data that have been acquired.
The appropriate location for individual-animal data is in the study report or as an appendix to the study report.
a. Pharmacology
Primary Pharmacodynamic
Secondary Pharmacodynamic
Safety Pharmacology
b. Pharmacokinetics
Analytical Methods and Validation Reports (if separate reports are available)
Absorption
Distribution
Metabolism
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Excretion
c. Toxicology
Repeat-Dose Toxicity (in order by species. by route, by duration; including supportive toxic kinetics evaluations)
d. Genotoxicity
In vitro
Longterm studies (in order by species: including rangefinding studies that cannot appropriately be included under repeatdose toxicity or
pharmacokinetics )
Short- or mediumterm studies (including rangefinding studies that cannot appropriately be included under repeatdose toxicity or
pharmacokinetics)
e. Other studies
Reproductive and Developmental Toxicity (including rangefinding studies and supportive toxicokinetics evaluations) (If modified study designs are
used, the following subheadings should be modified accordingly.)
Embryo-fetal development
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Prenatal and postnatal development, including maternal function
Studies in which the offspring (juvenile animals) are dosed and/or further evaluated.
Local Tolerance
Autigenicity
Immunotoxicity
Dependence
Metabolites
Impurities
Other
This part provides guidance on the organization of the study reports, other clinical data, and references within an application for registration of a
pharmaceutical product. These elements should facilitate the preparation and review of a marketing application.
This guideline is not intended to indicate what studies are required for successful registration. It indicates an appropriate organization for the clinical
study reports that are in the application.
This guideline recommends a specific organization for the placement of clinical study reports and related information to simplify preparation and review
of dossiers and to ensure completeness. The placement of a report should he determined by the primary objective of the study. Each study report
55
should appear in only one section. Where there are multiple objectives, the study should be cross-referenced in the various sections. An explanation
such as not applicable or no study conducted should be provided when no report or information is available for a section or subsection.
A tabular listing of all clinical studies and related information should he provided. Other information can be included in this table if the applicant
considers it useful. The sequence in which the studies are listed should follow the sequence. Use of a different sequence should be noted and explained
in an introduction to the tabular listing.
BA studies evaluate the rate and extent of release of the active substance from the medicinal product. Comparative BA or BE studies may use PK, PD.
clinical, or in vitro dissolution endpoints, and any
be either single dose or multiple dose. When the primary purpose of a study is to assess the PK of a drug, but also includes BA information, the study
report should be submitted.
Studies comparing the release and systemic availability of a drug substance from a solid oral dosage form to the systemic availability of the
drug substance given intravenously or as an oral liquid dosage form.
dosage form proportionality studies, and
Food-effect studies.
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Studies in this section compare the rate and extent of release of the drug substance from similar drug products (e.g., tablet to tablet, tablet to
capsule). Comparative BA or BE studies may include comparisons between:
The drug product used in clinical studies supporting effectiveness and the to-he-marketed drug product.
The drug product used in clinical studies supporting effectiveness and the drug product used in stability batches, and
Similar drug products from different manufacturers.
iii. In Vitro In Viva Correlation Study Reports
In vitro dissolution studies that provide BA information, including studies used in seeking to correlate in vitro data with in vivo correlations, should be
placed. Reports of in vitro dissolution tests used for batch quality control and/or batch release should be placed in the module 3.
Bio-analytical and/or analytical methods bio-pharmaceutic studies or in vitro dissolution studies should ordinarily he provided in individual study reports.
Where a method is used in multiple studies, the method and its validation should be included.
Human biomaterials is a term used to refer to proteins, cells tissues and relater! materials derived from human sources that are used in vitro or ex vivo
to assess PK properties of drug substances. Examples include cultured human colonic cells that are used to assess permeability through biological
membranes and transport processes, and human albumin that is used to assess plasma protein binding. of particular importance is the use of human
biomaterials such as hepatocytes and/or hepatic microsomes to study metabolic pathways and to assess drug-drug interactions with these pathway.
Studies using biomaterials to address other properties (e.g., sterility or pharmacodynamics) should not be placed in the Clinical Study Reports Section
not in the Nonclinical Study Section.
Ex vivo protein binding study reports should be provided here. Protein binding data from PK blood and/or plasma studies should be provided.
Reports of hepatic metabolism and metabolic drug interaction studies with hepatic tissue should be placed here.
Assessment of the PK of a drug in healthy subjects and/or patients is considered critical to designing dosing strategies and titration steps, to
anticipating the effects of concomitant drug use, and to interpreting observed pharmacodynamic differences. These assessments should provide a
description of the bodys handling of a drug over time, focusing on maximum plasma concentrations (peak exposure), area-under-curve (total exposure),
clearance, and accumulation of the parent drug and its metabolite(s), in particular those that have pharmacological activity.
The PK studies whose reports should be included are generally designed to (1) measure plasma drug and metabolite concentrations over time, (2) measure
drug and metabolite concentrations in urine or faeces when useful or necessary, and/or(3) measure drug and metabolite binding to protein or red blood
cells.
On occasion, PK studies may include measurement of drug distribution into other body tissues, body organs, or fluids (e.g., synovial fluid or cerebrospinal
fluid), and the results of these tissue distribution studies should be included, as appropriate. These studies should characterize the drugs PK and
provide information about the absorption, distribution, metabolism, and excretion of a drug and any active metabolites in healthy subjects and/or
patients. Studies of mass balance and changes in PK related to dose (e.g., determination of close proportionality) or time (e.g., due to enzyme induction
or formation of antibodies are of particular interest and should be included. Apart from describing mean PK in normal and patient volunteers, PK
studies should also describe the range of individual variability. In the ICH ES guideline on Ethnic Factors in the Acceptance of Foreign Data, factors
that may result in different responses to a drug in different populations are categorized as intrinsic ethnic factors or extrinsic ethnic factors. In this
document, these categories are referred to as intrinsic factors arid extrinsic factors, respectively. Additional studies can also assess differences in
systemic exposure as a result of changes in PK due to intrinsic (e.g., age, gender, racial, weight. height, disease, genetic polymorphism, and organ
dysfunction) and extrinsic (e.g., drugdrug interactions, diet, smoking. and alcohol use) factors. Reports of PK studies examining the influence of
intrinsic and extrinsic factors on exposure should he organized respectively.
In addition to standard multiple-sample PK studies, population PK analyses based on sparse sampling during clinical studies can also address questions
about the contributions of intrinsic and extrinsic factors to the variability in the dose-PK-response relationship. Because the methods used in population
PK studies are substantially different from those used in standard PK studies, these studies should be placed.
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Reports of PK and initial tolerability studies in healthy subjects should be placed in this section.
Reports of PK and initial tolerability studies in patients should be placed in this section.
Reports of PK studies to assess elects of intrinsic factors. should he placed in this section.
Reports of PK studies to assess effects of extrinsic factors, should be placed in this section.
Reports of population PK studies based on sparse samples obtained in clinical trials including efficacy and safety trials, should he placed in this section.
Reports of studies with a primary objective of determining the PD effects of a drug product in humans should be placed in this section. Reports of
studies whose primary objective is to establish efficacy or to accumulate safety data, however, should be placed in Section.
This section should include reports of 1) studies of pharmacologic properties known or thought to be related to the desired clinical effects (biomarkers
2) short-term studies of the main clinical effect, and 3) PD studies of other properties not related to the desired clinical effect. Because a quantitative
relationship of these pharmacological effects to dose anti/or plasma drug and metabolite concentrations is usually of interest, PD information is
frequently collected in dose response studies or together with drug concentration information in PK studies (concentration-response or PK/PD studies).
Relationships between PK and PD effects that are not obtained in wellcontrolled studies are often evaluated using an appropriate model and used as a
basis for designing further dose-response studies or, in some cases, for interpreting effects of concentration differences in population subsets.
Dose-finding, PD and/or P1K-PD studies can be conducted in healthy subjects and/or patients, and can also be incorporated into the studies that
evaluate safety and efficacy in a clinical indication. Reports of dose-finding, PD and/or PK/PD studies conducted in healthy subjects should be placed,
and the reports for those studies conducted in patients should be placed.
59
In some cases, the short-term PD, dose-finding, and/or PK-PD information found in pharmacodynamic studies conducted in patients will provide data that
contribute to assessment of efficacy, either because the) show an effect on an acceptable surrogate marker (e.g., blood pressured or on a clinical
benefit endpoint (e.g., pain relif). Similarly, a PD study may contain important clinical safety information. When these studies are part of the efficacy or
safety demonstration, they are considered clinical efficacy and safety studies that should be included.
PD and/or PK/PD studies having non-therapeutic objectives in healthy subjects should be placed.
This section should include reports of all clinical studies of efficacy and/or safety carried out with the drug conducted by the sponsor, or otherwise
available, including all completed and all ongoing studies of the drug in proposed and non-proposed indications. The study reports should provide the level
of detail appropriate to the study and its role in the application. ICH E3 describes the contents of a full report for a study contributing evidence
pertinent to both safety and efficacy, Abbreviated reports can he provided for some studies (see IC H b3 and individual guidance by region).
Studies should he organized by design (controlled, uncontrolled) and, within controlled studies, by type of control. Within each section, studies should be
categorized further, ordered by whether the study report is completely or abbreviated (ICE E3), with completely reported studies presented first,
Published reports with limited or no further data available to the sponsor should be placed last in this section.
In cases where the application includes multiple therapeutic indications, the reports should be organized in a separate Section for each indication. In
such cases, if a clinical efficacy study is relevant to only one of the indications included in the application, it should be included in the appropriate
section, if a clinical efficacy study is relevant to multiple indications, the study report should be included in the most appropriate Section and
referenced as necessary in other Sections.
Placebo control (could include other control groups. such as an active comparator or other doses)
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Non control
Within each control type, where relevant to assessment of drug effect, studies should he organized by treatment duration. Studies of indications other
than the one proposed in the application, but that provides support for efficacy in the proposed use, should be included.
Where a pharmacodynamic study contributes to evidence of efficacy, it should be included. The sequence in which studies were conducted is not
considered pertinent to their presentation. thus placebocontrolled trials, whether early or late, should be placed. Controlled safety studies, including
studies in conditions that are not the subject of the application should also be reported.
Study reports of uncontrolled clinical studies (e.g. reports of open label safety studies) should be included. This includes studies in conditions that are
not the subject of the marketing application.
Many clinical issues in an application can be addressed by an analysis considering data from more than one study. The results of such an analysis should
generally be summarized in the clinical summary documents, but a detailed description and presentation of the results of such analyses are considered
critical to their interpretation. Where the details of the analysis are too extensive to be reported in a summary document, they should be presented in
a separate report such reports should be placed. Examples of reports that would be found in this section include: a report of a formal meta-analysis or
extensive exploratory analysis of efficacy to determine an overall estimate of effect size in all patients and/or in specific subpopulations, and a report
of an integrated analysis of safety that assesses such factors as the adequacy of the safety database, estimates of event rates, and safety with
respect to variables such as dose, demographics, and concomitant medications, A report of a detailed analysis of bridging, considering formal bridging
studies other relevant clinical studies, and other appropriate information (e.g., PK arid PD) information), should be placed in this section if the analysis is
too lengthy for inclusion in the Clinical Summary.
61
This section can include:
For products that are currently marketed, reports that summarize marketing experience (including all significant safety observations) should he
included.
Case report forms and individual patient data listings that are described as appendices in the
ICH clinical study report guideline should be placed in this section when submitted in the same order as the clinical study reports and indexed by study.
Literature References
Copies of referenced documents, including important published articles, official meeting minutes, or other regulatory guidance or advice should be
provided here. This includes copies of all references cited in the Clinical Overview, and copies of important references cited in the Clinical Summary or
in the individual technical reports that were provided in Module 5, Only one cops of each reference should he provided. Copies of references that are
not included here should be immediately available on request.
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BA studies evaluate the rate and extent of release of the active substance from the medicinal product. comparative BA or BE studies may use PK. PD,
clinical, or in vitro dissolution endpoints, and may be either single dose or multiple dose. When the primary purpose of a study is to assess the PK of a
drug but also includes BA information, the study report should be submitted and referenced in Sections.
Studies comparing the release and systemic availability of a drug substance from a solid oral dosage form
Form to the systemic availability of the drug substance given intravenously or as an oral liquid dosage form.
dosage form proportionality studies, and
Food-effect studies.
Studies in this section compare the rate and extent of release of the drug substance from similar drug products (e.g., tablet to tablet, tablet to
capsule). Comparative BA or BE studies may include comparisons between the drug, product used in clinical studies supporting effectiveness and the to-
be-marketed drug product.
The drug product used in clinical studies supporting electiveness and the to-be marketed drug product.
Similar drug products from different manufacturers.
Multi-source drug products need to conform to the same standards of quality, efficacy and safety required of the originators product. In addition,
reasonable assurance must be provided that they are, as intended, clinically interchangeable with nominally equivalent market products.
With some classes of products, including-most evidently parenteral formulations of highly watersoluble compounds, interchangeability is adequately
assured by implementation of Good Manufacturing Practices and evidence of conformity with relevant pharmacopoeial specifications. For other classes
of products. including biologicals such as vaccines, animal sera, and products derived from human blood and plasma and products manufactured by
biotechnology, the concept of interchangeability raises complex considerations that are not addressed in this document, and these products are
consequently excluded from consideration. However for most nominally equivalent pharmaceutical products (including solid oral dosage forms), a
63
demonstration of therapeutic equivalence can and should be carried out, and such assessment should be included in the documentation for marketing
authonzation. Orally or parenterally administered aqueous solutions will be assessed by chemical-pharmaceutical characteristics only.
This guideline refers to the marketing of pharmaceutical products that are intended to be therapeutically equivalent, and thus interchangeable, but
produced by different manufacturers.
Equivalent, studies are designed to compare the in vivo performance of a test pharmaceutical product (multi-source) compared to a reference
pharmaceutical product and the report should be as per WHO** guidelines.
Bio-equivalence study report should contain at least the following items as described.
Description of study design. The most appropriate study type is two-period, randomized, crossover study, if other study types were used (e.g.
parallel group design), these should be justified by the applicant. In general, singledose study with sufficiently long period for blood samples
collection is acceptable.
Information about investigators, study site and study dates.
Data about preparations used: manufacturer, place of manufacture, batch number etc. Reference preparation in bioequivalence study should
the innovator preparation or product registered by the NMRA or WAHO, ICH and associated countries or from WHO list of international
comparator products if listed.
Reference: Guidance on the selection of comparator pharmaceutical products for equivalence assessment of interchangeable multisource (generic,)
products. In: WHO expert Committee on Specifications for Pharmaceutical Preparations. Thirty-sixth report. Geneva, World Health Organization, 2002
WHO( Technical Report Series. No, 902.i:161 180.
Characterization of study subjects. Bio-equivalence study should be normally performed in healthy volunteers, if patients were used, this should
be justified by the applicant. Number of subjects should not be less than 12. Study report should contain inclusion and exclusion criteria, listing
of demographic data of all subjects.
Description of study procedures. Administration of test products, meals, and times of blood sampling or urine collection periods should be
described in the clinical report.
Description and validation of drug determination methods in investigated material. Analytical method should be validated over the measured drug
concentration range. Validation should contain methodology and results of sensitivity, specificity, accuracy, precision and repeatability
determination.
All measured drug concentrations should be presented.
64
Calculation methodology of pharmacokinetic parameters. Preferred is non-compartmental analysis. If modeled parameters were used, these
models should be validated for the compound. All measured and calculated pharmacokinetic parameters should be presented in the report.
Description of statistical methodology and results of statistical calculations. Statistical calculations should be based on the equivalence
evaluation. The statistical method of choice is the two one-sided test procedure and the calculation of 90% confidence intervals of the
test/reference ratios of pharmncokinetic parameters. The main parameters to assess the bio-equivalence are area under the plasma
concentration- time curve (AUC) and maximum concentrations (C,) ratios.
The 90% confidence interval for the AUC-ratio should lie within a bio-equivalence range of 80-125%. In some specific cases of drugs with a narrow
therapeutic range the acceptance range may need to be tightened.
The 90% confidence interval for the AUC -ratio should lie within a bio-equivalence range of 80-125%. In some specific cases of drugs with a narrow
therapeutic range the acceptance range may need to be tightened. In certain cases for drugs with an inherently high intra-subject variability, a wider
acceptance range (e.g. 75-133%) may be acceptable. The range used must be defined prospectively and should be justified, taking into account safety
and efficacy considerations,
In vitro dissolution studies that provide BA information including studies used in seeking to correlate in vitro data within viva correlations should be
placed. Reports of in vitro dissolution tests used for batch quality control and /or batch release should be placed in the module 3.
Bio-analytical and/or analytical methods for bio-pharmaceutic studies or in vitro dissolution studies should ordinarily he provided in individual study
reports. Where a method is used in multiple studies, the method and its validation should be included once and referenced in the appropriate individual
study reports.
General aspects of in vitro dissolution experiments are briefly outlined in Dissolution testing and Similarity of Dissolution Profiles (below) including basic
requirements how to use the similarity factor (f2-test).
65
h. In vitro dissolution tests complementary to bioequivalence studies
The results of in vitro dissolution tests at three different buffers and the media intended for drug product release (QC media), obtained with the
batches of test and reference products that were used in the bioequivalence study should be reported. Particular dosage forms like 01)1 (oral
dispersible tablets) may require investigations using different experimental conditions. The results should be reported as profiles of percent of labelled
amount dissolved versus time displaying mean values and summary statistics. Unless otherwise justified the specifications for in vitro dissolution to be
used for quality control of the product should be derived from the dissolution profile of the test product batch that was found to be bioequivalent to
the reference product (see D dissolution testing and Similarity of Dissolution Profiles below).
In the event that the results of comparative in vitro dissolution of the bio-batches do not reflect bioequivalence as documented in vivo the latter
prevails. However possible reasons for the discrepancy should be addressed and justified.
Appropriate in vitro dissolution should confirm the adequacy of waiving additional in vivo bioequivalence testing. Accordingly, dissolution should be
investigated at different pH values as outlined in the previous section (normally pH 1.2. 4.5 and 6.8) unless otherwise justified. Similarity of in vitro
dissolution (see Dissolution testing and Similarity of Dissolution Profiles below) should be demonstrated at all conditions within the applied product
series, i.e. between additional strengths and the strength(s) (i.e. batch (es;) used for bioequivalence testing.
At pH values where sink conditions may not be achievable for all strengths in vitro dissolution may differ between different strengths However, the
comparison with the respective strength of the reference medicinal product should then confirm that this finding is drug substance rather than
formulation related. In addition, the applicant could show similar profiles at the same dose (e.g. as a possibility two tablets of 5 drug versus one tablet
of 10 mg could he compared).
66
During the development of a medicinal product a dissolution test is used as a tool to identify formulation factors that are influencing and may have a
crucial effect on the bioavailability of the drug. As soon as the composition and the manufacturing process are defined a dissolution test is used in the
quality control of scale-up and of production batches to ensure both batch to batch consistency and that the dissolution profiles remain similar to those
of pivotal clinical trial batches. Furthermore, in certain instances a dissolution test can he used to waive a bioequivalence study.
To get information on the test batches used in bioavailability/bioequivalence studies and pivotal clinical studies to support specifications for
quality control
To be used as a tool in quality control to demonstrate consistency in manufacture
To get information on the reference product used in bioavailability /bioequivalence studies and pivotal clinical studies.
(ii) Bioequivalence surrogate inference
To demonstrate in certain cases similarity between different formulations of an active substance and the reference medicinal product
To investigate batch to batch consistency of the products (test and reference) to be used as basis for the selection of appropriate batches for the in
vivo study. Test methods should be developed product related based on general and/or specific pharmacopoeia requirements. In case those requirements
are shown to be unsatisfactory and/or do not reflect the in vivo dissolution (i.e. bio-relevance ) alternative methods can be considered when justified
that these are discriminatory and able to differentiate between batches with acceptable with non-acceptable performance of the product in vine.
Current state-of-the-art information including the interplay of characteristics derived irons the BCS classification and the dosage form must always he
considered.
Sampling time points should be sufficient to obtain meaningful dissolution profiles, and at least every 15 minutes. More frequent sampling during the
period of greatest change in the dissolution profile is recommended. For rapidly dissolving products, where complete dissolution is within 30 minutes,
generation of an adequate profile by sampling at 5-or 10-minute intervals may be necessary.
If an active substance is considered highly soluble, it is reasonable to expect that it will not cause any bioavailability problems if, in addition, the dosage
system is rapidly dissolved in the physiological pH range and the excipients are known not to affect bioavailability. In contrast, if an active substance is
67
considered to have a limited or low solubility, the rate limiting step for absorption may be dosage form dissolution. This is also the case when excipients
are controlling the release and subsequent dissolution of the active substance, in those cases a variety of test conditions is recommended and adequate
sampling should be performed.
Dissolution profile similarity testing and any- conclusions drawn from the results (e.g. justification for a bio-waiver) can be considered valid only if the
dissolution profile has been satisfactorily characterized using a sufficient number of time points.
For immediate release similarity, further to the guidance given in section 1 above, comparison at 15 mm is essential to know if complete dissolution is
reached be-fore gastric emptying.
Where more than 85% of the drug is dissolved within 15 minutes, dissolution profiles may be accepted as similar without further mathematical
evaluation. -
In case more than 85% is dissolved at 15 minutes but within 30 minutes at least three time points are required: the first time point before 15 minutes,
the second one at 15 minutes and the third time point when the release is close to 8,5%.
For modified release products, the advice given in the relevant guidance should be followed.
In this equation f2 is the similarity factor n is the number of time points, R(t) is the mean Percent reference drug dissolved at time t after initiation of
the study; T(t) is the mean percent test drug dissolved at time t after initiation of the study. For both the reference and test formulations, percent
dissolution should he determined.
An f2 value between 50 and 100 suggests that the two dissolution profiles are similar.
When the f2 statistic is not suitable, then the similarity may be compared using model-dependent or model-dependent or model- e.g. by statistical
multivariate comparison of the- parameters of the weibull function or the percentage dissolved at different time points.
Alternative methods to the f2 statistic to demonstrate dissolution similarity are considered acceptable if statistically valid and satisfactorily justified.
The similarity acceptance limits should be pre and justified and not be greater than a 10% difference. In addition, the dissolution variability of the test
and reference product data should also be similar; however, a lower variability of the test product may be acceptable.
Evidence that the statistical software has been validated should also be provided.
A clear description and explanation of the steps taken in the application of the procedure should be provided with appropriate summary tables.
This note is intended to provide applicants with some additional guidance and clarification on existing guidance documents with respect to selecting an
appropriate reference product for a bioequivalence study conducted with a generic product for submission to the PPB. The following should be
considered when selecting a reference product:
The applicant should select and purchase the innovator pharmaceutical products approved in ICH and other well regulated markets (such as
Australia, Canada, Switzerland)
The applicant should choose from the WHO comparator product list or FDA Reference Product List.
In case of any clarification the applicant can request WAHO or the NMRA for guidance on the choice of reference product
Microbiological attributes
Initial values
69
count
12 months, 302C / 65 5 % RH
36 months, 302C / 65 5 % RH
Analysis of Results
Where the data show so little degradation and so little variability that it is apparent from looking at the data that the requested shelf
life will be granted, it is normally unnecessary to go through the formal statistical analysis; providing a justification for the omission
should be sufficient.
If data of a quantitative attribute that have changed significantly during the stability tests, present them in a graph and determine the
time at which the 95% one-sided confidence limit for the mean curve intersects the acceptance criterion. If analysis show that the
batch-to-batch variability is small, it is advantageous to combine the data into one overall estimate.
Conclusion shall be drawn from the stability studies report to justify the shelf life.
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Omission of BE studies must be justified. Generally BE studies are not necessary if a product fulfils one or more of the following conditions:
The following dosage forms are exempted from bioequivalence study requirements:
c. The product is an oral dosage for which is not intended to be absorbed (e.g .Antacid, Radio-opaque Contrast Media etc)
f. The product is an inhalant volatile anesthetic solution, Inhalation and nasal Preparations
g. The product is a reformulated product by the original manufacturer that is identical to the original product except for coloring agents, flavoring
agents or preservatives, which are recognized as having no influence upon bioavailability
h. Gases
i. Solutions for oral use which contain the active substance(s) in the same concentration as the innovator Product and do not contain an excipient that
affects gastro intestinal transit or absorption of the active substance.
j. Powders for reconstitution as a solution and the solution meet the criteria indicated in 1 above.
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ANNEX 001
72
FORMAT FOR SUMMARY OF PRODUCT CHARACTERISTICS
Propose a copy of the Summary of Product Characteristics (SPC) aimed at medical practitioners and other health professionals using the format outlined
below. The SPC is an essential part of drug registration and it can only be changed with the consent of WAHO or the NMRA.
Applicants may present SPCs for different strengths in one document, clearly indicating with shaded titles the strength or presentation to which
alternative text elements refer.
However, a separate SPC per strength and per pharmaceutical form, containing all pack-sizes related to the strength and pharmaceutical form
concerned will have to be provided by the applicant
Standard statements are given in the template, which must be used whenever they are applicable. If the applicant needs to deviate from these
statements to accommodation product-specific requirements, alternative or additional statements will he considered on a case-by-case basis.
1. Name of the medicinal product
Stare the name under which the products will he marketed in Kenya. In case of generic products, the International NonProprietary Name
(INN) in block letters and a trade mark name in small letters if any.
In those sections of the SPC in which full information on the name of the medicinal product is specifically required, the name should be followed
by both the strength and the pharmaceutical form.
However, when otherwise referring to the medicinal product throughout the text, the strength and the pharmaceutical form do not have to be
mentioned in the name. The International Non-proprietary
Name (INN) or the usual common name of the active substance should he used when referring to properties of the active substance(s) rather
than those of the product.
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1.2 Strength
The strength should be the relevant quantity for identification and use of the product and should he consistent with the quantity stated in the
quantitative composition and in the physiology. Different strengths of the same medicinal product should he stated in the same way. e.g. 250 mg,
500 mg. 750 mg. The use of decimal points should he avoided where these can be easily re (e.g. 250 microgram, riot 0.25 mg However, where a
range of medicinal products of the same pharmaceutical form includes strengths of more than one unit (e.g. 250 microgram. 1 mg and 6 mg), it
may be more appropriate in certain cases to state the strengths in the same unit for the purpose of comparability (e.g 0.25 mg 1 mg and 6 mg)
For safety reasons microgram and millions (e.g. for units) should always he spelled out in full rather than be abbreviated.
The pharmaceutical form should be described by the standard term using plural form if appropriate (e.g. tablets). If an appropriate standard
term does not exist, a new term may be constructed from a combination of standard terms. No reference should be made to the route of
administration or to the container unless these elements are part of the standard term or where there are identical products, which may be
distinguished only by reference to the container.
Provide full details of the qualitative and quantitative composition per unit dosage form in terms of the active substances and excipients,
knowledge of which is essential for proper administration of the medicinal product The usual common name or chemical description shall he used.
If a diluent is part of the medicinal product, information should he included in the relevant sections (usually sections 3, 6.1, 6.5 and 6.6).
Qualitative declaration
The active substance should he declare by its recommended INN, accompanied by its salt or hydrate form if relevant, or the Pharmacopoeia
name if that name represents an established name. If no INN exists, the Pharmacopoeia] name should he used or if the substance is not in the
pharmacopoeia, the usual common name should he used. In the absence of a common name, the exact scientific designation should he given.
Substances not having an exact scientific designation should be described by a statement on how and from what they were prepared. References
to the Pharmacopoeia quality should not be included.
When the medicinal product is a radiopharmaceutical kit the qualitative declaration should clearly indicate that the radioisotope is not part of
the kit.
Quantitative declaration
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The quantity of the active substance must be expressed per dosage unit (for metered dose inhalation products. per delivered dose and/or per
metered dose), per unit volume, or per unit of weight and must he related to the declaration of strength in section 1.
Salts and hydrates
Where the active substance is present in the form of a salt or hydrate, the quantitative composition should he expressed in terms of the mass
(or biological activity in International (or other) units where appropriate) of the active entity (base, acid or anhydrous material), e.g. 60 mg
toremifene (as citrate or toremifene citrate equivalent to 60 mg toremifene.
Where a salt is formed in situ during manufacture of the finished product, the quantity of the active entity should be stated, with a reference
to the in situ formation of the salt.
In the case of established active substances in medicinal products where the strength has traditionally been expressed in the form of a salt or
hydrate, the quantitative composition may be declared in terms of the salt or hydrate. e.g. 60 mg diltiazem hydrochloride. This may also apply
when the salt is formed in situ.
Esters and pro-drugs
If the active substance is an ester or pro-drug, the quantitative composition should he stated in terms of the quantity of the ester or pro-drug.
When the active entity is an active substance of an already approved medicinal product, the quantitative composition should also be stated in
terms of the quantity of this active entity.
Oral powders for solution or suspension
The quantity should be stated per unit close if the product is a single-dose preparation or otherwise per unit dose volume after reconstitution: a
reference to the molar concentration may also be appropriate in some cases.
Parenterals excluding powders for reconstitution
For single-dose parenterals, where the total contents of the container are given in a single dose (total use), the quantity of active substance(s)
should he stated per presentation (e.g. 20 mg etc.) not including any overages or overfill. The quantity per nil and the total labeled volume should
also be given.
For single-dose parenterals, where the amount to be given is calculated on the basis of the patients weight or body surface or other variable
(partial use), the quantity of active substance(s) should be slated per ml. The quantity per total labeled volume should also be given. Overages or
overfills should not be included.
75
For multi-dose and large volume parenterals, the quantity of active substance(s) should be stated per 100 ml, per 1000 ml, etc. as appropriate, except
s containing n doses of the same dose. In this case, the strength should be expressed per dose volume. Overages or overfills should not be
included.
Where appropriate e.g. for X-ray contrast media, and parenterals containing inorganic salts, the quantity of active substance(s) should also be
indicated in mill moles. For X-ray contrast media with iodine actives substances, the quantity of iodine per ml should be stated in addition to the
quantity of the active substance.
When the product is a powder to be reconstituted prior to administration, the total quantity of active substance in the container should he stated not
including overages or overfills, as well as the quantity per ml when reconstituted, unless there are several means of reconstituting, or different
quantities used, which result in different final concentrations.
Concentrates
The quantity should be stated as the content per ml in the concentrate and as the total content of the active substance. The content per ml when
diluted as recommended should also he included unless the concentrate is to be diluted to within a range of different final concentrations.
Transdermal patches
The following quantitative details should be given: the content of active substance(s) per patch, the mean dose delivered per unit time, and the area of
the releasing surface, e.g. Each patch contains 750 micrograms of estradiol in a patch size of 10 2, releasing a nominal 25 micrograms of estradiol per 24
hours.
Quantity of active substance should be stated, where possible, per unit dose, otherwise per gram, per. 100g or percentage, as appropriate.
76
Biological products
In the ease of vaccines, the content of active substance per dose unit (e.g. per 0.5 nil) should he stated. Adjuvants, if present, should be stated
qualitatively and quantitatively.
The nature of any cellular system(s) used for production, and if relevant the use of recombinant DNA technology, including the use of the expression
produced in XXX cells <by recombinant DNA technology> should be mentioned in the SPC, in a pattern as set by the following examples:
3. Pharmaceutical form
State clearly the pharmaceutical dosage form of the product e.g. tablets, capsules, injection, etc. Any descriptive terms to give an indication of
the exact type of dosage form should also be included e.g. film coated tablets, coterie-coated tablets, hard-gelatin capsules, soft-gelatin
capsules, oily injection etc.
The visual and physical characteristics of the product should also he stated, including where applicable: shape, size, superficial marketing for
identification purposes, colour, odour, taste, pH osmolarity, etc as required e.g.
Tablet
In case of tablets designed with a score line, information should be given whether or not reproducible dividing of the tablets has been shown,
e.g. the score-line is only to facilitate breaking for ease of swallowing and not to divide into equal doses, the tablet can be divided into equal
halves.
In case of products to be reconstituted before use, the appearance before reconstitution should be stated in this section. Appearance of the
product after reconstitution should be stared in section 4.2.
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4. Clinical particulars
State briefly recommended therapeutic use(s) of the product. Indications should be specific; phrases such as associated conditions or allied
diseases should he avoided.
State the dose (normal dose. close range), dosage schedule (frequency, duration) and route of administration appropriate for each therapeutic
indication. Dosages for adults, children, should be slated clearly. Dosage adjustments for special conditions, e.g. renal, hepatic, cardiac,
nutritional insufficiencies, where relevant, should he stated. Distinction should be made between therapeutic and prophylactic closes and
between dosages for different clinical uses where applicable.
In case of restricted medical prescription start this section by specifying the conditions.
Method of administration: directions for proper use by healthcare professionals or by the patient. Further practical details for the patient can
be included in the package leaflet, e.g. in the ease of inhalers, subcutaneous self-injection.
Instructions for preparation are to be placed under section 6.6 and cross-referenced here.
4.3 Contraindications
Outline situations where patients should never or generally not be treated with the product and in rare cases where the product should not be
used.
State any hypersensitivity to the active substance(s) or to any of the excipients or (name of the residue(s)
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4.4 Special warnings and precautions for use
State briefly the precautions and warnings that should be taken when or before using the product. Describe the conditions under which the
product may be recommended for use in subgroups of patients at risk provided that the special conditions of use are fulfilled. Emphasis should
be given to a serious risk by underlining the seriousness (i.e. possibility of death). State also any special pharmaceutical precautions e.g.
incompatible diluents, additives etc.
4.5 Interaction with other medicinal products and other forms of interaction
State briefly the interactions of the product with other drugs, had or any other substances and where applicable the mechanism of interaction.
Provide information on the use of the product in pregnant women and lactating mothers. Results from reproduction toxicology should be included
under section 5.3 below and cross-referenced here if necessary.
Provide information on the effects of the product on the ability to drive and operate machines. Studies performed on the same should be
provided or cross referenced, where applicable.
Describe effects where applicable: <<no> or negligible> influence> < or moderate influence> <major influence> on the ability to drive and use
machines.>
<No studies on the effects on the ability to drive and use machines have been performed.> <Not relevant.>
State the side effects and adverse reactions of the product as per the MedDRA frequency convention and system organ class database.
Within each frequency grouping, undesirable effects should be presented in order of decreasing seriousness.
4.9 Overdose
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Describe symptoms of over-dosage or poisoning and the recommended treatment, emergency procedures and antidotes (if available).
5. Pharmacological properties
Give a concise summary of the pharmacodynamic properties of the drug(s) relevant to the proposed indications. Include the
Pharmacotherapeutic group: {group lowest available level]}. ATC {code}
Give a concise summary of the pharmacokinetic properties (i.e. absorption. distribution, metabolism and excretion) of the drug(s).
Describe the safety profile of the product in relation to single dose toxicity, repeated dose toxicity, carcinogenicity, genotoxicity, reproduction, and
toxicity and dependence liability.
Adverse reactions not observed in clinical studies, but seen in animals at exposure levels similar to clinical exposure levels and with possible relevance to
clinical use should also be outlined,
<Non-clinical data reveal no special hazard for humans based on conventional studies of safety pharmacology, repeated dose toxicity. genotoxicity,
carcinogenic potential, toxicity to reproduction.>
<Effects in non-clinical studies were observed only at exposures considered sufficiently in excess of the maximum human exposure indicating little
relevance to clinical use:>
<Adverse reactions not observed in clinical studies, but seen in animals at exposure levels similar to clinical exposure levels and with possible relevance to
clinical use were as follows:>
6. Pharmaceutical particulars
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6.1 List of excipients
List each excipient on a separate line according to the different parts of the product.
6.2 Incompatibilities
Provide information on incompatibilities of the product with other medicinal products. (e.g. mixing of medicinal products during administration).
<In the absence of compatibility studies, this medicinal product must not be mixed with other medicinal products.> [for parenterals]
<This medicinal product must not be mixed with other medicinal products except those mentioned in section 6.6.>
Provide information on the finished product shelf life and on the in-use stability after 1st opening and/or reconstitution/dilution. Only one overall shelf
life for the finished product should be given even if different components of the product may have a different shelf life (e.g. powder & solvent).
<0 month> <:6 mouths> <: year> <18 months> <2 years> <30 months>
State the general storage conditions of the finished product should appear here, together with a cross-reference to section 6.3 where appropriate:
<For storage conditions of the <reconstituted> <diluted> medicinal product, see section 6.3>
State briefly:
(a) The recommended storage conditions (temperature, humidity, light, etc.) as established by stability studies. The storage temperature must be
stated in figures e.g. Store below 30c protected from light (see also 3.10.12 below for Core Storage Statements).
(b) Any special user instructions, e.g. dilution, reconstitution and storage and shell life after reconstitution, etc.
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6.5 Nature and contents of container
State briefly the type(s) of packing and pack size(s) being applied for registration. The pack sizes declared here should correspond with the samples
submitted.
Provide practical instructions for preparation and handling of the product including disposal of the medicinal product and waste materials derived from
the used medicinal product.
<Any unused product or waste material should be disposed of in accordance with local requirements.>
7. Registrant
State the name and address of marketing authorization holder including telephone, fax number and e-mail, of Manufacturer
State the name and physical address of the site(s) of manufacture of the product including telephone, fax number and email.
Full details of internal radiation dosimetry should be included in this section for radiopharmaceuticals. For all other products, this section should
be excluded.
For radiopharmaceuticals, additional detailed instructions for extemporaneous preparation and quality control of such preparation and. where
appropriate, maximum storage time during which any intermediate preparation such as an eluate or the ready- pharmaceutical will conform to its
specifications.
Special instructions relating to the disposal of containers and unused contents should also be included.
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ANNEX 002
83
APPLICATION FORM FOR SUBMISSION OF DOSSIERS
SECTION 1- APPLICANT
Name of Applicant: .
Premises address: .
....................................................................................................
........................................................................................................
Post address: .
Phone: . Fax....
E-mail: Website ..
Name of manufacturer:
Premises address:
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.................................................................................................
Post address: .
Phone: Fax....
E-mail: .. Website
Country of Origin-ECOWAS---------------------------------------------------------------------------
Others-------------------------------------------------------------------
-Manufacturer
-Importer
-Government Agency
-Donor Agency
-ECOWAS/WAHO
-Others-------------------------------------------------------------------------------------------------
85
SECTION 3: PRODUCT
a) Name of Product:
Proprietary Name:
Generic Name:
b) Promotional Category
SECTION 4: INDICATIONS
86
SECTION 7: NAME & QUANTITY OF EACH INGREDIENT
(a) Additional raw materials (if any) used in the manufacturing process but NOT present in the final product.
(b) Give specifications of packaging materials (where no specifications for packaging materials exist, this must be mentioned).
..
(c) List any ingredient likely to cause dependence and /or listed in the United Nations list of psychotropic and narcotic drugs?
i) British pharmacopoeia
ii) European pharmacopoeia
iii) United States pharmacopoeia
iv) International pharmacopoeia
v) British pharmaceutical codex
vi) Martindales Extra pharmacopoeia
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SECTION 8: CHEMICAL NAME & STRUCTURAL FORMULAR OF EACH ACTIVE INGREDIENT
Chemical Name:
Empirical Formula:
Molecular Weight:
Structural Formula:
-Requirements
-Batch processing
-In-process checks
-Packaging operations
-Oral
-Intravenous
-Intramuscular
-Topical
88
-Inhalation
-Others
-Adverse Effects
-Drug interactions
Contra-indications
-Pregnancy
-Developmental Toxicity
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SECTION 15: NEW CHEMICAL ENTITIES AND INNOVATOR PRODUCT
a) Particulars referring to the pharmacological, toxicological and efficacy data obtained from preclinical studies undertaken on the drug.
b) All documentation referring to the tests which have been performed on humans regarding the efficacy of the drug
c) Reference standards for the active ingredient, related substances, and identifiable impurities should be submitted
SECTION 16 : BIOAVAILABILITY/BIOEQUIVALENCE
Bioequivalence data shall be required for all oral solid dosage forms.
This shall be a comparative study with the innovator product or a verifiable lead market brand acceptable to the NMRA.
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SECTION 18: SAMPLES, LEAFLETS &PACKAGE INFORMATION
(To be enclosed)
Name------------------------------------------------------------------------------------------------------
Designation-------------------------------------------------------------------------------------------------
Telephone Number-------------------------------------------------------------------------------------------
E-mail-----------------------------------------------------------------------------------------------------
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ANNEX 003
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DOSSIER EVALUATION FORM FOR DRUGS
Indication(s)....
Commercial Presentation..
Category of Distribution
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Manufacturers Name & Add..
Local Agent
Certificate of Analysis
of Active Raw
Materials
Certificate of Analysis
of Inactive Raw
Materials
Certificate of Analysis
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of Finished product
Analytical Control
Procedures
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Protocol for Real-time
stabilityb
Protocol for
Accelerated stabilityb
Report for
Accelerated stabilityb
CPP
Man. Licencec
Manufacturing
Contract Agreementd
Package Insert
Bioavailability Datae
Bioequivalence Dataf
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Additional Comments
Recommendations
Explanatory Notes
a. Required when in-house specifications are used for API and/or finished product.
b. This should be performed for 3 batches at conditions specified below for Zone IV.
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c. Not required if applicant is same as manufacturer and CPP has been submitted
f. Bioequivalence data is not required for Topical preparations and Injectables, which are off patent.
Title of Study
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Title & C.V. of Medical,
Scientific & Analytical
Directors
Ethics Committee
Authorization
Certificate of Good
Clinical Practice
Number of Subjects
Analyzed
99