Pitfalls to Avoid in FDA Aseptic Manufacturing Inspections

From personnel to facility design to process, FDA policy advisor provides an outline of what facilities can improve on.

Aseptic processing is one of the highest risk pharmaceutical operations, and thus requires a high level of control.
Aseptic processing is one of the highest risk pharmaceutical operations, and thus requires a high level of control.

The pharmaceutical industry depends greatly on cleanroom standards to ensure the health and safety of patients, especially during aseptic processes for the production of drugs purporting to be sterile. At the recent 2021 PDA/FDA Joint Regulatory Conference, Brooke K. Higgins, MS, senior policy advisor, CDER, U.S. FDA presented on recurring deficiencies and safety failures found during FDA aseptic manufacturing inspections, both in the U.S. and globally, along with possible solutions.

Brooke K. Higgins, MS, senior policy advisor, CDER, U.S. FDABrooke K. Higgins, MS, senior policy advisor, CDER, U.S. FDAAs aseptic processing is one of the highest risk pharmaceutical operations, there are severe consequences to lack of control. FDA’s aseptic guidance, the European Annex, and a number of other valuable resources list principles to avoid contamination events, yet FDA continues to note inspectional trends surrounding aseptic technique and behaviors; facility, room, and process design; and the use of media fills. 

“We know it takes a myriad of meticulous steps to ensure the quality of sterile drug products,” said Higgins. “This includes fastidious control over the sterile drug, container closures and components, and careful and attentive interactions in the processing and surrounding areas.”

FDA graph for assuring sterility of drug products.FDA graph for assuring sterility of drug products.

Higgins emphasized that in control strategy, FDA rule requires manufacturers to run all processes by them to ensure proper protection from microbiological contamination of drug products purporting to be sterile. FDA also insists a current Good Manufacturing Practices (cGMP)-compliant firm must continually assess its systems and take action in a timely manner to ensure that it remains in a state of control—this includes the facility, equipment, and the process. FDA expects companies to assess the effectiveness of controls and measures in place to minimize the risk of contamination.

Causes of contamination 

Main causes of contamination in the U.S. and internationally listed in the presentation were: 

The personnel—Higgins said, “The major variable in the control of aseptic processing arises not from the sterilization processes, the cleanroom, or the filtration processes that are so often the subject of technical papers on regulatory guidelines, but rather from the workforce itself.” She noted that humans shed almost one billion particles a day, which may land on the aseptic processing line and even inside the sterile drug.

Incorrect actions commonly noted by FDA inspectors are:

  • operators placing head and upper torso into filling cabinet over open vials without clearing them;
  • operators inadvertently contacting the interior of doors used to access ISO 5 aseptic processing areas;
  • failure to disinfect materials before introducing them into ISO 5 aseptic processing area; and
  • sterile drug product leaks on the floor. Filling continues as operators attempt to clean spilled product by placing wipes and other materials over the area with their feet. Aseptic connections are made directly above spilled product.

Higgins asserted that personnel must be trained and frequently reminded of proper cleanroom procedures and behaviors. Further, a substantial part of environmental control includes management performing extensive observation of operator activities in the aseptic processing cleanroom and the surrounding areas to ensure that situations as noted above do not continue to occur.

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