BIO Submits Comments on FDA Manufacturing, Supply Chain, and Inspections Guidances & Report
July 16, 2021
On Wednesday, July 14th, BIO submitted comments on FDA’s Guidances: 1)Remote Interactive Evaluations of Drug Manufacturing and Bioresearch Monitoring Facilities During the COVID-19 Public Health Emergency Guidance; 2) Updated Manufacturing, Supply Chain, and Drug and Biological Product Inspections During COVID-19 Public Health Emergency: Questions and Answers; and the 3)Resiliency Roadmap for FDA Inspectional Oversight Report. In the updated Manufacturing, Supply Chain, and Inspections Questions & Answers document, BIO stated its appreciation for the clear statement in the Q&A Guidance that if a needed inspection cannot be completed due to travel restrictions but there are no other deficiencies (site/facility or otherwise in the application), FDA will defer action, rather than issuing a CRL. In terms of remote evaluations of bioresearch monitoring facilities, BIO proposed that many of the concepts introduced should be retained after the public health emergency ends and become another set of tools in FDA’s toolbox for inspectional activities, utilizing a risk-based approach. Furthermore, we emphasized that this approach could be used in the future to better distribute FDA resources for inspections, ensuring that the majority of staff time is focused on places where in-person assessment is truly needed, and information cannot be obtained via another method. Lastly, BIO requested additional detail regarding how FDA is utilizing the tools and robust dataset in its Resiliency Roadmap to address the inspectional backlog created by the COVID-19 public health emergency; how these tools fit into the larger inspectional paradigm; how remaining inspections will be prioritized; and estimates regarding the resolution of the current and additional backlog would be helpful.
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 Wednesday, July 14th, BIO submitted comments on FDA’s Guidances: 1)Remote Interactive Evaluations of Drug Manufacturing and Bioresearch Monitoring Facilities During the COVID-19 Public Health Emergency Guidance; 2) Updated Manufacturing, Supply Chain, and Drug and Biological Product Inspections During COVID-19 Public Health Emergency: Questions and Answers; and the 3)Resiliency Roadmap for FDA Inspectional Oversight Report. In the updated Manufacturing, Supply Chain, and Inspections Questions & Answers document, BIO stated its appreciation for the clear statement in the Q&A Guidance that if a needed inspection cannot be completed due to travel restrictions but there are no other deficiencies (site/facility or otherwise in the application), FDA will defer action, rather than issuing a CRL. In terms of remote evaluations of bioresearch monitoring facilities, BIO proposed that many of the concepts introduced should be retained after the public health emergency ends and become another set of tools in FDA’s toolbox for inspectional activities, utilizing a risk-based approach. Furthermore, we emphasized that this approach could be used in the future to better distribute FDA resources for inspections, ensuring that the majority of staff time is focused on places where in-person assessment is truly needed, and information cannot be obtained via another method. Lastly, BIO requested additional detail regarding how FDA is utilizing the tools and robust dataset in its Resiliency Roadmap to address the inspectional backlog created by the COVID-19 public health emergency; how these tools fit into the larger inspectional paradigm; how remaining inspections will be prioritized; and estimates regarding the resolution of the current and additional backlog would be helpful.