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Performing ongoing stability testing for listed and complementary medicines
Guidance for interpreting the Pharmaceutical Inspection Co-operation Scheme (PIC/S) guide to good manufacturing practice (GMP) for medicinal products.
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Purpose
This guidance is intended to clarify the interpretation of the PIC/S Guide to Good Manufacturing Practice for Medicinal Products (PIC/S Guide to GMP) in relation to the ongoing stability testing requirements for listed and complementary medicines.
This guidance addresses compliance with the 'On-going stability programme' section of Chapter 6 - Quality Control in Part 1 of the PIC/S Guide to GMP.
Evidence for the stability of medicines is an important part of quality control and is used to justify shelf life and storage conditions.
This guidance is only applicable to manufacturers and sponsors of listed medicines and complementary medicines (including registered complementary medicines).
This guidance does not apply to a medicine listed for export-only when the medicine would not be a listed or complementary medicine if supplied in Australia.
Scientific guidelines
PIC/S Guide to GMP for medicinal products – version 16
From 3 June 2024 the PIC/S Guide to GMP version 16 applies to the manufacture of medicines, APIs and sunscreens, unless exempt under provisions in the Therapeutic Goods Act 1989 (the Act).
Development of this guidance
This guidance was developed in collaboration with the complementary medicine technical working group. Technical working groups comprise TGA and industry subject matter experts and have been established to develop, consider and review GMP guidelines.
This document is provided for guidance only and has been developed on the basis of current knowledge of the subject matter. It should not be relied upon to address every aspect of the relevant legislation. Please also refer to the Therapeutic Goods Act 1989 and the Therapeutic Goods Regulations 1990 for legislative requirements and the current version of the PIC/S Guide to GMP.
Responsibility for the ongoing stability program
Stability testing for listed and complementary medicines is mandatory. All responsibilities related to ongoing stability testing should be defined in a GMP agreement (unless the sponsor, manufacturer and authorised person conducting release for supply are all from the same entity).
The sponsor needs to:
- ensure that there is stability data to support the shelf life of the product
- have access to the laboratory results
The individuals conducting release for supply need to:
- have adequate information to support the shelf life of the product being released
- have adequate information to confirm that the batch meets the requirements for marketing authorisation
The stability testing program can be contracted out to third parties. This can include physical storage under the specified controlled conditions and undertaking the testing at the specified time points.
Flowchart for ongoing stability program
Flowchart showing process for ongoing stability program
Method development and validation (step 1)
Analytical methods are researched, developed and validated for a product or group of products.
The methods used for the stability testing of products need to be stability-indicating. Please note that not all compendial methods are stability-indicating.
As a minimum, validate methods for specificity and robustness in accordance with the TGA's Finished product (medicine) analytical procedure validation for complementary medicines.
It is unnecessary to monitor the level of impurities for listed and complementary medicines.
Development of the stability protocol (step 2)
The initial stability study shall be conducted in accordance with a predetermined protocol, which should be in line with the ICH Guideline time points for stability testing. Ongoing stability studies may use different time points as the data is used to confirm that the product remains stable over its shelf life if the initial studies have already been confirmed as acceptable.
Include in the protocol relevant physical, chemical and microbiological testing to support the marketed shelf life of the product. The protocol for an ongoing stability program should extend to at least the end of the shelf-life period.
Target market countries
Conduct the ongoing stability program in line with the regulatory guidelines for the countries of destination. The testing requirements and storage conditions in the study design must meet the regulatory requirements of the countries the product will be sold into.
The different regulatory requirements of different countries need to be considered when a sponsor first commences the stability program.
Conditions
Conduct stability testing in real time at the storage conditions specified on the product label.
For example, when the label storage conditions are:
- 'store below 30°C', conduct studies at 30 ± 2°C and 65 ± 5% relative humidity
- 'store below 25°C', conduct studies at 25 ± 2°C and 60% ± 5% relative humidity
- 'store below 8°C (refrigerate)', conduct studies at 5 ± 2°C
Other incubation conditions may need to be considered for export countries depending on their regulatory requirements.
Types of product
Ongoing stability testing is of the finished packed product.
Consider whether bulk product or intermediate product should also be part of the ongoing stability program, particularly where bulk product is stored prior to being packaged or transported from a manufacturing site to a packaging site. To determine whether further studies are necessary, use a risk assessment process to evaluate the impact of storage of bulk and intermediate products on the stability of the packaged product.
In general, further studies may be appropriate if storage is more than:
- 1 month for liquids
- 3 months for solids
Types of testing
Physical testing parameters
Include physical testing parameters specific to the medicinal product, including pack integrity.
Microbiological testing
Consider microbiological testing throughout the study to support compliance with the expiry specifications. At a minimum, conduct microbiological testing at the initial and the end time points of the study.
Types of active ingredients
Active ingredients labelled quantitatively
Test the active ingredients that are claimed on the label quantitatively throughout the study using validated stability-indicating methods.
Reduced ongoing stability testing may be acceptable, with a documented risk assessment and justification, if full stability data for the support of the product listing shelf life is available for all active ingredients as per the label claim.
Mineral actives
For mineral active ingredients in an organic form, when possible, choose test methods specific for the organic form of the mineral. If this is not done, or an alternative test method is used, provide a justification. As a minimum, test minerals in an organic form at the initial time point and at the end of the ongoing stability study.
For mineral actives ingredients that are not in an organic form, the content of inorganic salts is expected not to vary over the shelf life of the product, after quality control release testing has been completed.
Herbal ingredients
Products which contain herbal ingredients where no standardised component is claimed, should be considered for chromatographic profiling, based on the ingredients added to the individual batches. For complex products containing multiple herbal ingredients, it may be useful as part of the stability development stage to monitor chromatographic changes in individual herbal ingredient profiles.
Full scale batch production (step 3)
Ongoing stability program (step 4)
At least one batch of product from each group each year should be placed on the ongoing stability program under the predetermined study protocol.
Grouping
A grouping approach can be undertaken with stability studies of listed and complementary medicines, because of the lower risk generally associated with these medicines. Document the scientific justification of the rationale used to establish product groupings.
Base your justifications on the products having similarly constructed formulations, the same dosage form, method of manufacture and primary packaging materials.
Groups that require separate stability studies
Groups that may require separate stability studies include, but are not limited to:
- different dose forms
- solutions
- suspensions
- creams
- ointments
- tablets
- two-piece capsules
- soft capsules (softgels) containing solution fills
- soft capsules (softgels) containing suspensions fills, powder mixes
- different formulation types
- multi-component vitamin/mineral/herbal solid-dose tablet based on common formulation
- vitamin tablet containing only one active, even if excipients similar to above
- vitamin tablet containing same active, but sustained- rather than immediate-release
- different packaging
- glass bottle
- specific type of plastic bottle
- blister platform
- laminated tube
Representative products
Document the justification for a particular product being representative of the group.
- A product with a complex formulation containing multiple active ingredients with a generic base could be selected as the worst case to represent a group of products that contain one of the active ingredients with the same or similar base formulation.
The ongoing stability program for the group commences when a representative product is placed on the stability program.
You can also rotate products within the group, provided that a documented justification is signed off prior to the batch being placed on the stability program.
Confidentiality issues
All parties involved should consider confidentiality issues when:
- a sponsor uses several manufacturers and a product is being manufactured and packaged by more than one company
- a manufacturer has several sponsors with similar formulations that could theoretically be grouped for stability purposes
Product change considerations
Conduct a risk assessment when a product is changed, to determine whether a new stability study is required to confirm that the change has not impacted the product adversely.
Consider including in the ongoing stability program any production batches that have undergone a significant change or deviation to the process or package, rework, reprocessing or recovery operation.
The On-going stability programme section in Chapter 6 of the PIC/S Guide to GMP states that:
- an ongoing stability study should be conducted after any significant change or significant deviation to the process or package
- any reworking, reprocessing or recovery operation should also be considered for inclusion
Monitoring the stability study (step 5)
At each time point, report and review the results of the stability study. Review the data to identify out-of-trend (OOT) and out-of-specification (OOS) results.
Compare all data from the previous time point with the latest reports to identify any significant changes in the product.
Documentation
Maintain a written summary of all the data generated, including any interim conclusions on the program. Review this summary periodically.
- Where analytical data is found to be OOS or where an atypical trend is observed, conduct a formal investigation.
- Where the shelf life of the product could be compromised, perform a risk assessment. Label subsequent production batches with a reduced shelf life to reflect the actual shelf life achievable.
Ongoing stability study reports
Ongoing stability study reports should be available to:
- the authorised person responsible for release for supply
- the sponsor
- the TGA for review when requested
Ongoing stability reports should be summarised and authorised by a suitably experienced and qualified individual with a quality and/or technical and/or regulatory background for inclusion in the Product Quality Review.
Related resources
The following resources are relevant:
- Stability testing of listed complementary medicines
- The TGA has adopted a number of EU guidelines on stability testing.
Page history
Updated to link to PIC/S Guide to GMP for medicinal products – version 16.
Updates included:
- change in title and scope.
- restructured and updated to be consistent with PE009-13, PIC/SGuide to GMP.
Template change.
Original publication.
Updated to link to PIC/S Guide to GMP for medicinal products – version 16.
Updates included:
- change in title and scope.
- restructured and updated to be consistent with PE009-13, PIC/SGuide to GMP.
Template change.
Original publication.