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Quality by Design: A Perspective From the Office of Biotechnology Products. ADVISORY COMMITTEE FOR PHARMACEUTICAL SCIENCE October 26, 2005 Barry Cherney, Ph.D. Deputy Director DTP/OBP/CDER. Overview. Introduction of Biotech Products – defining the issues OBP Practice
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Quality by Design: A Perspective From the Office of Biotechnology Products ADVISORY COMMITTEE FOR PHARMACEUTICAL SCIENCEOctober 26, 2005 Barry Cherney, Ph.D. Deputy Director DTP/OBP/CDER
Overview • Introduction of Biotech Products – defining the issues • OBP Practice • Designing a Quality Product • Designing a Quality Process • Implementation
Office of Biotechnology Products • Therapeutic Proteins • Growth Factors • Enzymes • Cytokines • Chemokines • Angiogenic factors • Toxins • Soluble Receptors/Receptor antagonists • mAbs (related products) • These proteins are produced from recombinant or non recombinant cell culture expression systems and from transgenic and non transgenic systems • Products transferred from CBER to CDER in October 2003 • Excludes ONDCQA regulated protein products
Biotechnology Products Biotechnology products tend to be: • Large, complex molecules • Mixtures of many active ingredients • Subject to extensive heterogeneity in quality attributes of the API • Dependent on higher ordered structures and many times, flexibility (e.g. changes in conformation) • Are sensitive to small changes in manufacturing and impurity profiles, conformation stability limited
Product Variability • Amino Acid Substitution • Truncation • Mismatched S-S bonds • N- and C-terminal difference • Aggregation • Multimer Dissociation • Denaturation • Acetylation • Acylation • Addition of lipid • Amidation/Deamidation • Carbamylation • Carboxylation • Formylation • Gamma Carboxyglutamic acid • O-linked Glycosylation • N-linked Glycosylation • Methylation • Oxidation • Phosphorylation • Sulphation
Biotechnology Products • Generally, have poorly understood structure/function relationships • These properties of the API are hard to fully characterize resulting in uncertainty • Formulations: majority liquid presentations, less complexity then other formulations (stability a main issue, sampling size needs improvement ) Control of the API is a major source of concern for Biotech products.
Paradigms • Quality is ensured by testing and rejecting lots that fail to meet its stated quality (insufficient) • A guiding principle for the Biotech industry has been that the process is the product (can be too restrictive) Quality by design concept: • Quality cannot be tested into a product; it has to be built by design. This design incorporates knowledge of the product and the process to ensure all critical quality parameters are adequately controlled
Quality Control Strategy Product Testing • Method Validation • Release Testing • Characterization • Stability Testing
Release tests ? • Process How Much of the Iceberg (desired product) Can We See? • Characterization
Process Facilities and Equipment Control of Raw Materials In-Process Testing (PAT) In-Process Controls Process Validation (FED) cGMPs (QC/QA) Product Method Validation Release Testing Characterization Stability Testing Comprehensive Quality Control Strategy
Designing a Quality Product • Design a high quality product that maximizes efficacy while minimizing adverse affects • Design a robust quality process to efficiently deliver a consistant product with the expected Q, S, and E profile
Q by D General Requirements for Biotech Products • Full Characterization of the product’s attributes (establish product variability – the earlier the better) • Understanding the relationship between the product’s quality attributes and safety and efficacy • Understanding the mechanism of action both in terms of efficacy and safety (Biological characterization) • Understand how process affects critical quality attributes This knowledge is limited for many Biotech products
The Desired Product • Dosage form is usually a given, liquid (some vialed as lyophilized power) • Excipients vary from product to product but mostly affect product stability • Desired attributes of the API (Focus for Biotech) • Opportunity for protein engineering - understanding protein structure/function relationship • Limit variability for attributes that negatively impact on product quality (via process or product)
Protein Engineering (rational design) • Increase manufacturability • Improving function/new properties • Increase specificity/affinity • Increasing Bioavailability • Pegylation • Glycoslation • Adding protein domains with increased half life (Fc) • Adding domains that bind to endogenous long lived proteins
Protein Engineering • Reduce tendency for aggregation • Increase conformational stability • Reducing immunogenicity • Eliminate sequences that promote aggregation • Humanizing foreign proteins (mAb) • Pegylation • Incorporate structures that are less immunogenic (disulfide bond scaffolds) • T cell epitope engineering
Protein Engineering • OBP has encouraged development of innovative products (not a regulatory requirement) • Less enthusiastic concerning the use of products whose design increases uncertainly and has no expected value clinically (premise: limit product variability) • Histidine tag proteins (Quality versus Manufacturability) • Protein domains that potentially adversely impact safety
Examples of Problematic Process Designs • Manufacturing capacity to clear viruses is limited • Following elimination of aggregates by SEC, the manufacturer performs a heat treatment step for viral inactivation thus reintroduces aggregates back into the process • Process performed at room temperature with negative impact on quality • Roller bottle processes (open, multiple fermentations difficult to control) • Recloning is used to establish new cell banks introducing variability Manufacturer recognized the limitations but regulatory hurdles are difficult to overcomeparticularly after approval
Process Control • Current OBP expectations are that critical sources of variation should be identified and controlled (raw materials/ unit operations) • Controlled through in-process testing (PAT or other tests), monitoring operating parameters and process validation Based on long standing paradigm that process consistency = product consistency
Biotechnology Process Control Proteolytic Steps Renaturation Diafilt./Conc. Formulation Lyophilization Some steps controlled by volume or time few measure product attributes directly Turbidity Conductivity Harvest Chromatography Columns D02 pH Fermentor 280nm ABS Conductivity
The Essence of PAT • Process decisions (in real time) are based on assessments of critical material attributes • Forward-feed of incoming material • Feedback by in-process monitoring • Product quality is monitored and controlled during the manufacturing process • End points = achievement of the desired material attribute Currently, limited use of PAT in Biotech products but applicability is promising
Process Control of Unit Operations • Identify intended functions of unit operations and the critical product attributes potentially affected • Establish desired limits of attribute (typically established by estimates of process capability) • Identify critical variables for the process step • Establish the range of the variables that provides assurance that you can meet your quality expectations • First principles ?? • Empirical approach using multi variant analysis FED, but can you extrapolate to larger scales?
Design Space (Fermentation) Critical process parameters Time Media composition Agitation
Expanding the Design Space • Characterize a quality attribute with regard to relevant, clinically important parameters, i.e. it’s affect on: • Potency • Bioavailability • Biodistribution • Immunogenicity • This information can be used to set specifications to ensure product quality as it relates to S and E and expand the design space
Examples from Biotech • For a highly glycoslyated protein various isoforms were isolated and monitored for relevant bioactivity in a animal model suitable for Pk measurements. Outcome: widen specs for isoform profile • Monitored product isoforms from human serum samples over time, showed rates of decay were similar concluded isoforms did not impact bioavailability Outcome: broaden acceptance criteria • Use of multiple lots of drug product in clinical trials to establish a link between variability of product attributes and clinical performance
One to some lots Many to all lots Biological Activity Matrix Purified/induced variants Developmental lots Clinical lot extremes Stressed lots Clinical lots Multiple binding/cellular assays Small Animal/Complex Bioassay Clinical/Clin Pharm Validated bioassay
Regulatory Relief (based on process understanding) • Validate the process is capable of impurity removal to appropriate levels (non toxic impurities) Relief: Impurity is not routinely measured when operating under the validated state (removed from specifications) • Different approaches depending on the nature of the impurity • Validate capacity to remove those impurities that are added at fixed concentrations (fixed input) • Validate excess capacity for removal of impurities that variable (alternatively control of input levels of impurities) Examples: Host Cell Proteins/DNA
Regulatory Relief (based on product understanding) • Understanding of the relationship between the quality attribute and its impact on safety and efficacy can reduce regulatory requirements Relief: If no likely impact on S and E don’t include as a specification (no rejection limit) • use as a process consistency measure, where exceeding a limit initiates an investigation • if not a consistency measure, drop the test entirely • Transitioning to this new paradigm of action versus rejection limits • Need to discuss more extensively in-house and provide reviewer training
Implementation of Q by D • Q by D “a major fear by industry is that reviewers will not understand or be receptive to the submission” paraphrased from Dr. Ken Morris, Q by D presentation October 17, 2005 • OBP review is based on scientific merits of the proposal and not simply reliance on existing practice. Guidance helps frame the issue but science and knowledge dictates the outcome. • For example, we try to stay away from proscriptive rules i.e. “rejection limits can be established +/- 3 SD”. Instead, we evaluate the proposal using our best scientific judgment and are open to other statistical analysis but links between the attribute and what is known regarding its impact on S and E are important. Lack of knowledge increases uncertainty and may result in tighten controlled.
Implementation of Q by D Structure of OBP • Product reviewers a mixture of research/reviewers and full time reviewers • Research conducted in molecular and cellular biology and pharmaceutical science • Expertise in biological characterization of protein products is critical for meaningful risk assessment • Provides hands on experience with latest techniques familiarity with fermentation/purification processes • Expertise in biological characterization relevant to other CDER products • Consultations across CDER
Data Analysis In-line SPR chip Ion exchange chip MS Fermentor PAT Future Directions Many steps controlled by measuring product attributes (or by monitoring all DP samples)
Continued and Future Directions • Training of OBP product reviewers in PAT (4 OBP product reviewers will undergo extensive training for Biotech products), Q by D, and new analytical techniques (Biosensors SPR) for biotech products • Q by D discussions within and outside Agency • Encourage biological characterization of products • Encourage industry to incorporate new or under utilized analytical methods for control of in-process materials and purified proteins