The implementation of requirements concerning elemental
impurities in a drug product is a good example to understand how quality is
built into the product to ensure the safety of the product.
At the outset, I would like to share some basic aspects of
elemental impurities. These are most often added during synthesis and
manufacturing of an API or excipients as a catalyst, but it may also be present
at the source in the raw material. Sometimes an element may leach out, during
processing/manufacturing from the equipment used during manufacturing. It may
also leach out during stability testing from the packaging component. These
impurities have no therapeutic benefit but have a potential toxic effect and, hence
is required to be removed to the extent possible. If it cannot be completely
removed, then it must be controlled within a permissible or acceptable limit.
There are different classes of elemental impurities defined in ICH, USP, EP and
other Pharmacopeias. The classes and limits are defined according to the
inherent risk associated with it based on their chemical structure while also
additionally considering the dosage form and route of administration. Guidelines
and general chapters in USP and EP, on elemental impurity came into existence
as the previous method of heavy metals testing was a qualitative method that was not very
specific and that was not designed to eliminate the risk associated with many
elemental impurities. Another objective was achieving harmonization between ICH
and official book of standards like USP and EP.
As per the new requirement, the drug product manufacturer must
ensure that the elements are monitored in their product after an appropriate
risk assessment and the limits are based on an approach of establishing
permitted daily exposures (PDEs) for these impurities in a drug product. This
led to gathering information from the API and excipient manufacturers and even
requesting them to identify and quantify these using validated methods if they
cannot be completely removed. API and excipient manufacturers were expected to report
the levels to the drug product/finished formulation manufacturer for
appropriate risk assessment.
When these requirements were introduced by ICH, USP, EP, and
other pharmacopoeias, there were a lot of challenges faced by Industry. These
tests were not routinely done and were not part of the specification for many
API and almost all the excipients. The certification from the suppliers only
claimed that these were not present in their product as it was not added in the
manufacturing process. Other sources of contamination were never considered or
evaluated. Most excipients were not tested and hence finding the actual metal
concentration was not possible. The risk assessment for the product was not
easy due to the lack of data. The finished product manufacturers would need to
conduct extensive testing on the finished formulations/ drug product to ensure
compliance. There were technical challenges too. The method to test the
elemental impurities (like ICP-MS) was not commonly employed and the instruments
were also expensive. Not many contract laboratories were equipped to conduct
this test. Training was required to use and for qualification of the new
equipment and methodology and all these were time-consuming.
IPEC America developed a template for exchange of
information between the vendors or suppliers of API and excipients and the
manufacturers of the finished product. This template acted as a guiding tool to
all stakeholders involved as it resulted into a better understanding of the
metal impurity level that led to a meaningful risk assessment.
It was clear that for implementation the industry had to develop
an action plan. It became extremely critical for the pharmaceutical industry to
communicate extensively with the API and excipients manufacturers. A collective
approach of implementation was highly desired. Suppliers had to gear up and
ensure that this did not lead to any disruption of the supply of materials. Drug
product manufacturers had to get equipped for conducting a risk assessment of
each metal which could potentially be present, setting a specification based on
permitted daily exposure limit and testing by a validated method (Pharmacopeia
or alternate developed new method).
The good news is that the industry was able to manage all
these challenges and ensure compliance to requirements of elemental impurities
by the time it was mandated for registration of new drugs or new generics by
various countries and health authorities. Compliance for products which were
already registered and in the market was also achieved in a phase-wise manner
and updated information was provided from time to time, product by product, to
health authorities by most firms.
The elements which make it a good case study for QbD is
listed below:
1)
Implementation of this required the industry to
work with a holistic approach, to identify the sources of contamination through
which an element would be introduced into the product - such as from APIs, excipients, packaging
components, water source, equipment’s or interactions between the dosage form
and packaging component.
2)
It emphasized heavily on risk-based evaluations
and establishing control strategies only after thorough risk assessment.
3)
It required working with a data-driven approach
in terms of evaluating both the generated information and any published data
available on the elements and its toxic potential.
Regulatory professionals may have experienced the challenges
and would agree with me on the point that ensuring compliance for elemental impurities
was a long process that necessitated working on the principles of QbD to achieve
desired outcome. For complete information about the elemental impurities test
and methodology please refer to ICH Q3D, USP general chapter <232> and
<233>.
My next blogs will be on data integrity and continuous
manufacturing. See you soon!!
Nice Article. Quiet elborative and considering possible practical aspects of elemental impurities, journey so far and way ahead. Thanks for sharing and good luck!
ReplyDeleteVery well explaned the EI concept and critical aspects to be considered while development and sourcing of materials for evaluation on drug product.
ReplyDeleteNisha haa explained Elemental impurities very well.
ReplyDeleteElemental impurities stringent specification should be designed for API, Excipient manufacturer but above Limit of Quantification. This will help product manufacturer to keep Elemental impurities below pwrmissible limit consistently.
Excellent article Nisha .. looking forward to the next one on CM.
ReplyDeleteNice one!Good work involved.
ReplyDeleteVery nice & detailed article on elemental risk assessment Nisha... Really had a tough time at the beginning complying to this requirement but now finally industry is able to comply to FDA expectations.... Waiting for ur next article... All the best !
ReplyDeleteNice article explained in detail.
ReplyDeleteGood learning for all of us not involved with the Regulatory field, helps us understand the technical contraints and view point of regulators while reviewing our submissions and responding to their queries.
ReplyDeleteVery informative information regarding elemental impurity assessment as per ICH Q3D requirements for Drug product manufacturers.
ReplyDeleteMadam one query also, we are using purified water during manufacturing of Drug products.
ReplyDeleteWhat are the limits for class 1 and 2A elements for purified water USP/EP grade used in manufacturing process of Drug product.