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Agenda. Traditional Political / Departmental SeparationTraditional Facility Construction / HVAC Automation ImplementationIncreased focus on HVAC / Facility Design and Implementation in regulated industriesToday's options for HVAC automation in GMP/GLP applicationsKey Success Factors. . Departmental Responsibility for Today's Critical HVAC Automation Systems.
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1. Welcome………
2. Agenda Traditional Political / Departmental Separation
Traditional Facility Construction / HVAC Automation Implementation
Increased focus on HVAC / Facility Design and Implementation in regulated industries
Today’s options for HVAC automation in GMP/GLP applications
Key Success Factors
3. Departmental Responsibility for Today’s Critical HVAC Automation Systems Production
Research
QA / Validation / Metrology
IT / Network infrastructure
Facility Engineering / PM
Facility Operations
4. Responsibility Matrix of the 90’s
5. Historical Approach to HVAC (Automation) Implementation
6. Markets
Schools
Shopping Malls
High rise buildings
Public / State Projects
Hospitals
Validated Production Suites ????
Internal Experience and Policies Are Market Driven
Sales through Commissioning
Cross functionality of Internal Personnel
Lack of focused expertise in any single market
Products
Application specific products – Make it Fit Typical HVAC Automation Suppliers
7. Which Led to an increased number of deviations related to HVAC Automation: …Failure to evaluate and establish specifications for the building HVAC system, to provide for periodic checks to assure the system provides proper air flow, humidity, and temperature, and establish a preventative maintenance program for the HVAC system…
Written procedures designed to prevent microbiological contamination of sterile drug products were inadequate and resulted in: (21 CFR 211.113)
inadequate monitoring of differential air pressures between clean rooms
inadequate support of changes for the movement of walls and HVAC modifications made to the ( xxx) facility
8. Today’s Responsibility Matrix
9. HVAC Automation / Applications Office / Administration support
Utilities (CHW / HW / Steam)
Warehouse
Laboratories
Animal Vivariums
Manufacturing / Production Suites
10. The Ballooning Problem(Sterile Manufacturing Example)
11. Why Such an Extensive Validation Scope? Most significant reason is to reduce the risk of potential regulatory problems and the associated consequences. Perception is-
Over-Kill is Safer
than Under-Kill !!
12. Is Overkill Really Less Risk? NO!!
If you have declared something worthy of validation, it is exposed to FDA scrutiny
Increasing the unnecessary validation scope INCREASES the possibility of a deviation
Non-compliance of unnecessary validation can get your process shut down!
13. Proper Experience, Design, Implementation, Training, and Operation Don’t confuse validation with quality design, installation, and operation
Validation is required by the FDA for product safety
Quality should be built into all your processes not because the FDA requires it but because your company and bottom line depend on it
Look at the Semiconductor Market!!
14. So where do we go from here....?
15. Is There a Better Way…… What is the best approach?
Is there an approach that will satisfy all departments?
Can this approach be operationally effective and cost efficient?
Most importantly, is this approach based on quality assurance and in compliance with governing regulations?
16. ISPE Baseline Guide 5* Commissioning and Qualification
A Risk Analysis Based Approach to Effective and Efficient System Design, Commissioning, and Validation
17. Introduction of Baseline Guide - Objectives Reduce inconsistent interpretation of validation requirements leading to wasted efforts, increased risk, and increased costs
Provide flexible and innovative approach to design, commissioning, and effective qualification
Provide guidelines for assessing Direct Impact, Indirect Impact, and No Impact Impact systems
Define Good Engineering Practice (GEP) that will lead to cost effective, well documented approach to meeting regulatory requirements and stakeholder satisfaction
18. Key Concepts of the Baseline Guide Impact Assessment (a component of Qualification*)
“The process of evaluating the impact of the operating, controlling, alarming, and failure conditions of a system, on the quality of a product.”
Good Engineering Practice*:
“Established engineering methods and standards that are applied throughout the project lifecycle to deliver appropriate, cost-effective solutions”
Commissioning (a component of GEP*)
“A well planned, documented, and managed engineering approach to the start-up and turnover of facilities, systems, and equipment to the End-User that results in a safe and functional environment that meets established design requirements and stakeholder expectations”
19. Key Concepts (Continued) Restrict qualification to Direct Impact Systems
Direct Impact – Systems or components that have a direct impact on product quality
Requires Full Qualification
Indirect Impact – Systems or Components that support Direct Impact systems
Interface to Direct Impact systems/components needs careful assessment (i.e. BMS product Technologies)
Requires GEP and Commissioning
No Impact – Self Explanatory
Requires GEP and Commissioning
20. Key Concepts (Cont.) Design for Impact:
Through careful design, reduce the number of systems having a direct impact. Starts at the beginning of design development
Enhanced Design Review:
“A documented review of the design, at an appropriate stage in a project, for conformance to operational and regulatory expectations”
21. Designing For ImpactA Two Step Process Step One: Determine System Impact
Direct: a system expected to have a direct impact on product quality
Indirect: a system not expected to have a direct impact on product quality, but typically will support a direct impact system
No Impact: a system which has no impact on product quality
22. Designing For Impact - A Two Step Process Step Two: Determine Component Criticality
Critical: “A component within a system where the operation, contact, data, control, alarm, or failure may have a direct impact on the quality of the product.” Section 3.2.4
Non-Critical: “A component within a system where the operation, contact, data control, alarm, or failure will have an indirect impact or no impact on the quality of the product.” Section 3.2.5
Asses integration between direct and non direct impact systems
23. Impact AssessmentSix Questions (Section 3.3.4) “Is there direct contact with the product?”
“Does the system produce an excipient, ingredient, or solvent?”*
“Is the system used in cleaning or sterilizing?”*
“Does the system preserve product status?”
“Does the system produce data which is used to accept or reject the product?”
“Is the system a process control system that may affect product quality and there is no system for independent verification of performance in place?”
*Not relevant to HVAC
24. Component Criticality AssessmentSeven Questions (Section 3.3.5) Is component used to demonstrate compliance with the registered process?
Does the normal operation or control of the component have a direct effect on product quality?
Will a failure or alarm of the component have a direct effect on product quality?
Is information from this component recorded as a part of a batch record or other GMP related documentation?
Does the component have direct contact with the product?
Does the component control critical process elements that may affect product quality, without independent verification of the control system performance?
Is the component used to create or preserve a critical status of a system?
25. Designing For ImpactGEP and Qualification From the beginning of the design process, delineate systems between GEP and GEP plus Qualification
Reduce the validation scope to only direct impact systems
Leverage and capitalize on the commissioning process to substantiate the validation process
26. Designing For ImpactGEP and Qualification
27. In contact with product?
Only room air with important properties
Temperature
Humidity
Pressure
Air Changes (CFM)
Used in batch record?
Parameters verifying conditions heldin limits Putting Impact Assessment to Use,Sterile Manufacturing Example
28. Putting Risk Based Approach to Use,Sterile Manufacturing Example
29. Benefits from Baseline Guide Approach- Project Implementation and Completion Scope of what is validated is reduced to only essential items; making “doing it right”, easier (in some cases making it possible) and reducing support documents
Even though validation scope is reduced, commissioning assures all items are properly installed, activated, and functioning.
Unexpected events which always crop up during commissioning but do not effect critical components in direct impact systems can be resolved quickly using GEP practices, which are far less cumbersome than qualification practices.
When merged properly, commissioning and qualification activities dovetail together, minimizing total cost
Justification to FDA is simplified, paperwork is reduced
30. Benefits from Baseline Guide Approach- The System Life Cycle Formalized change control need only be applied to critical-direct impact systems
The quantity of instruments requiring periodic calibration certification for regulatory purposes is reduced
Maintaining and repairing systems is simplified as indirect impact systems can be maintained by more traditional methods
On going paperwork requirements are reduced
31. Baseline Guide 5 Approach - What it is NOT!!! It is not designed to create wars between the quality department and facility department!
Everyone needs to be on the same team
It is not a way to revert back in time and circumvent the quality process!
The systems need to be designed, built, and operated with quality processes
Remember – just like the semiconductor industry, your business depends on it!!
It is not a way to “cheap out” on the products or vendors!
Pick the products suitable for the task
Pick the vendors with the necessary experience and training
32. In Summary…….. Expanding the Scope of Validation:
Increases business and regulatory risk; rather than decrease it
Makes maintaining the validated state more difficult – encourages “cheating the system”
Makes conducting business more costly, but without achieving a regulatory benefit
Validation is reduced but Quality must still remain through the:
Expertise and training of the internal team
Expertise of the vendors
Quality of the products
Training and qualifications of the operations personnel
Key tools are
Impact Assessment
Designing for Impact
Good Engineering Practices
Commissioning all systems
Qualify those of regulatory interest
33. Thank You……….