Design Considerations For Stem Cell Products
Design Considerations For Stem Cell Products
Design Considerations For Stem Cell Products
James Crim HHS/FDA/CBER/OCBQ/DMPQ ISCT- 6th Annual Symposium September 25-27, 2006
SCOPE
Regulatory Overview Current Good Manufacturing Practices (cGMPs) Expectations During Development Basic facility considerations - Facilities/Personnel - Environmental Monitoring Contamination and cross contamination control - Aseptic Processing
Regulatory Considerations
IND regulations (21 CFR 312) - patient safety and clinical trials Biologics regulations (21 CFR 600s) licensing requirements CGMPs (21 CFR 211s) current good manufacturing practices for drugs/biologics Combination products (21 CFR 800s)
Facility Design
Manufacturing areas designed for aseptic processing smooth, easily cleaned surfaces, etc. Designed to control the manufacturing environment (personnel and process) Adequate and separate areas, for various activities (receipt of materials, testing, manufacturing) HEPA-filtered air in manufacturing areas; higher control (classification) for critical manufacturing steps
Facility Design
Product type and makeup Stage of manufacturing Scale of manufacturing Material and personnel flows designed to maximize efficiency and minimize product mix-ups Concurrent vs. campaigning impact on HVAC, cleaning and personnel
Facilities/Personnel
Personnel practice universal precautions when processing biological materials such as cells or tissues Unidirectional flow of personnel and processed material Temporal segregation of processing activities, if possible Gowning program designed to protect the product from contamination and keep airborne particulates away from the product and prevent the transfer of particulates from one manufacturing environment to another environment of higher classification
Environmental Monitoring
Purpose
To demonstrate that environment quality is consistently within specified levels. To provide a timely and sensitive warning if the environmental quality or its control is becoming or have become unacceptable. To initiate a timely, comprehensive planed course of action whenever environmental monitoring results are indicative of unacceptable environmental quality or control (i.e., excursion or OOS).
Environmental Monitoring
How much environmental monitoring is needed and when? Routine dynamic monitoring of the clean environment and operations is important to insure that modes of bioburden introduction are under control. The recommendation is to at least monitor viable particulates during aseptic processing and understand the airflow in the hood and pressure differentials in areas of operations as the pressure differentials may provide an indication that the area is suitable for use.
Environmental Monitoring
The main goal is to protect the product by demonstrating that the class 100 environment has been maintained.
Should have qualified Biosafety Cabinets of appropriate air classification and on a maintenance plan for filter testing. Should routinely monitor (if even settling plate) during processing of patient cells or tissues to ensure no additional microbial contamination. Should be working towards process simulations to ensure aseptic processing. Operators should be trained and practice due diligence with regard to aseptic manipulations.
open manipulations (see below) aseptic connections surround Class 100 (bioburden control) centrifugation location of incubators and closed systems surround Class 10,000 (areas requiring moderate control) centrifugation and labware storage location of incubators and closed systems
* If additional microbiological controls are required the procedure should be performed in a Class 10,000 area
Aseptic Processing
What is aseptic processing (technique)? The ability of personnel to manipulate sterile preparations, sterile packaging components, and sterile administration devices in a way that excludes the introduction of viable microorganisms.
Aseptic Processing
Where does aseptic processing start? It may depend on the process, it may have a sterilizing step prior to filling or some products can not be sterilized so aseptic processing occurs from beginning to the end.
In Summary.
FDA recognizes changing nature of clinical studies; need for sliding scale approach to meeting cGMPs Key production steps, equip. and facilities need to be under documented control Patient safety cannot be compromised Testing alone does not assure a quality product QC/QA needed at early stages
In Summary.
Suggest facility be designed to accommodate current and future needs Suggest facility be designed to be as flexible as possible Suggest that the facility be designed, operated and controlled to the highest level possible (room classifications, pressure differentials, monitoring, etc.)
Special thanks to
Jay Eltermann OCBQ/DMPQ Laurie Norwood OCBQ/DMPQ