GCP / GLP / GMP: Comparison and Understanding of 3 of the FDA's Major Regulations

PHARMACEUTICAL Sep 19, 2023 90 minutes
01:00 PM EST 12:00 PM CST 11:00 AM MST 10:00 AM PST

Description:-

This webinar will define what are the US FDA's expectations for proper laboratory / clinical / manufacturing practices, systems, equipment usage, and documentation / record-keeping. It will evaluate the requirements for how basic Quality Management System (QMS) expectations/requirements are addressed in this environment. The webinar with evaluate pharma GMPs and 21 CFR 58 and associated regulations to see how the GLPs can be implemented in the real world to achieve FDA requirements and ensure the accuracy and repeatability/reproducibility of lab results.

There will be a detailed analysis of the applicable regulations for the industry. Subject areas considered are:

  • Lab / Clinical / Manufacturing Control / Systems
  • Facilities and Equipment
  • Documentation and Records
  • Materials Management
  • Personnel / Assignments
  • Validation
  • The Lab GLPs, IRBs/GCPs, and company CGMPs

Areas Covered:-

  • Key Regulatory Expectations
  • GLP/ GCP / GMP specifics 
  • Systems, Personnel, Facilities 
  • Required documentation/records
  • Control of equipment/test material/samples 
  • Laboratory Controls in the CGMPs
  • Clinical documents
  • CGMP requirements
  • Validations

Background:-

This webinar is intended to provide guidance regarding Good Clinical Practices (GCP), Good Laboratory Practices (GLP), and Good Manufacturing Practices (GMP) for use in pharmaceutical manufacturing and clinical trials, and for use by contract laboratories that support the regulated medical products industries.

Why Should You Attend:-

The Good Laboratory Practice regulations describe the minimal standards for conducting nonclinical laboratory studies that support or are intended to support applications for research or marketing permits for products regulated by FDA or EPA such as animal food additives, human and animal drugs, medical devices for human use, biological products, electronic products, or pesticide products. The Good Clinical Practices regulations pertain to studies utilizing human subjects or clinical studies. While the GLPs do not specifically pertain to basic exploratory studies carried out to determine whether a test article has any potential utility or, for FDA studies only, to determine the physical or chemical characteristics of a test article, adherence to their principles will further ensure the accuracy of any results achieved. And the GMPs pertain to the manufacture of products to be used in trials and then released to the field/public.

Who Should Attend:-

  • Senior management in Devices, Pharma, and Combination Products
  • QA / RA
  • Medical products development and testing teams
  • R&D
  • Engineering
  • Production
  • Operations
  • Marketing
  • Consultants; others tasked with medical product development, manufacturing, logistics, and V&V responsibilities
Presenter BIO

John E. Lincoln is the Principal of J. E. Lincoln and Associates, a consulting company with over 41 years of experience in U.S. FDA-regulated industries, 27 of which as head of his own consulting company. John has worked with companies from start-ups to Fortune 100, in the U.S., Mexico, Canada, France, Germany, Sweden, China, and Taiwan. He specializes in quality assurance, regulatory affairs, QMS problem remediation, FDA responses, new/changed product 510(k)s, process/product/equipment including QMS and software validations, ISO 14971 product risk management files/reports, Design Control / Design History Files, Technical Files.

He's held Manufacturing Engineering, QA, QAE, and Regulatory Affairs positions at the Director and VP (R&D) levels. In addition, John has prior experience in the military, government, electronics, and aerospace. He has published numerous articles in peer-reviewed journals, including 5 chapters in the RAPs validation textbook, and conducted workshops and webinars worldwide on regulatory issues. John is a graduate of UCLA.

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