BIO Comments on Draft Guidance: Q13 Continuous Manufacturing of Drug Substances and Drug Products
December 13, 2021
On Monday, December 13th, BIO submitted comments to the Food and Drug Administration’s recent draft guidance for industry entitled, Q13 Continuous Manufacturing of Drug Substances and Drug Products. The draft guidance was prepared under the auspices of the International Council for Harmonisation (ICH) and provides clarification on continuous manufacturing (CM) concepts and describes scientific approaches and regulatory considerations specific to CM of drug substances and drug products. According to the Agency, the draft guidance is intended to provide scientific and regulatory considerations for the development, implementation, operation, and lifecycle management of CM. In the comments submitted, BIO recommended the inclusion of additional terms in the guidance’s glossary, offered suggestions of where it might be helpful for the Agency to include specific examples, and requested the revision or addition of language to further clarify a handful of key points.
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BIO Comments on Draft Guidance: Q13 Continuous Manufacturing of Drug Substances and Drug Products
BIO submits comments on the MDH’s proposed regulations regarding Drugs of Substantial Public Interest: Draft Methodology for Public Comment as required in statute by the Prescription Drug Price Transparency Act.
The Biotechnology Innovation Organization appreciates the opportunity to comment on the Center for Medicare and Medicaid Services’ Information Collection Request on the Part C and Part D Medicare Prescription Payment Plan Model Documents.
On Monday, December 13th, BIO submitted comments to the Food and Drug Administration’s recent draft guidance for industry entitled, Q13 Continuous Manufacturing of Drug Substances and Drug Products. The draft guidance was prepared under the auspices of the International Council for Harmonisation (ICH) and provides clarification on continuous manufacturing (CM) concepts and describes scientific approaches and regulatory considerations specific to CM of drug substances and drug products. According to the Agency, the draft guidance is intended to provide scientific and regulatory considerations for the development, implementation, operation, and lifecycle management of CM. In the comments submitted, BIO recommended the inclusion of additional terms in the guidance’s glossary, offered suggestions of where it might be helpful for the Agency to include specific examples, and requested the revision or addition of language to further clarify a handful of key points.