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CSV Basics Webinar Recording and Slides
CSV Basics Webinar Recording and Slides
Validation Basics
By Praxis Life Sciences
1925 West Field Court, Suite 125, Lake Forest, IL 60045 Validation Center™
praxislifesciences.com | +1(847) 295-7160 validationcenter.com
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Computer System
Validation Basics
© Copyright 2016 by Praxis Life Sciences. All rights reserved. No
part of these materials may be reproduced or transmitted in any
form without the written permission of Praxis
v.16.08
Your Praxis Facilitator
• Debra Bartel, MBA, CQA, PMP
Validation Center™ © 2015 Praxis Life Sciences 2
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Intro to Praxis Life Sciences
Follow us!
Validation Center™ © 2016 Praxis Life Sciences 3
Target Audience
• Pharmaceutical & Biologics
• Medical Device
Industries • Clinical Studies
• Blood Products
• Operating in the US
Regions • Selling to the US Market
• IT Personnel and Managers
Personnel • Quality Personnel and Managers
• Auditors and Audit Managers
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Webinar Outline
1 • CSV Regulatory Requirements
2 • CSV Purpose & Benefits
3 • CSV Methodology
4 • CSV Scope
5 • CSV Failure Consequences
6 • CSV Program Implementation
Validation Center™ © 2016 Praxis Life Sciences 5
CSV Regulatory
Requirements
Part 1
Validation Center™ 6
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CSV Regulatory Requirements
Computer System Validation is require for companies that …
Design Pharmaceuticals
Activities
Products
Develop
Biologicals
Conduct clinical trials
Manufacture Medical Devices
Package Blood and Blood
Label
Components
Store
Distribute Human Cell and
Install Tissue Products
Service Infant Formula
Validation Center™ © 2016 Praxis Life Sciences 7
USA
FDA 21 CFR 11 Electronic Record; Electronic Signatures
Subpart B‐‐Electronic Records, Sec. 11.10
Controls for closed systems.
Such procedures and controls shall include the following: (a)
Validation of systems to ensure accuracy, reliability,
consistent intended performance, and the ability to discern
invalid or altered records.
21 CFR 820 Quality System Regulation
Subpart C Design Controls, Sec. 820.30(g)
Design validation shall include software validation and risk analysis, where appropriate
Subpart G Production and Process Controls, Sec. 820.70(i)
When computers or automated data processing systems are used as part of production or the
quality system, the manufacturer shall validate computer software for its intended use
according to an established protocol. All software changes shall be validated before approval
and issuance. These validation activities and results shall be documented.
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USA
FDA 21 CFR 211 Current Good Manufacturing Practice for
Finished Pharmaceuticals
Subpart D‐‐Equipment, Sec. 211.68(b)
Input to and output from the computer or related system of
formulas or other records or data shall be checked for
accuracy.
21 CFR 1271 Human Cells, Tissues, and Cellular and Tissue‐Based Products
Subpart D Current Good Tissue Practice, Sec. 1271.160(d)
You must validate the performance of computer software for the intended use, and the
performance of any changes to that software for the intended use, if you rely upon the software
to comply with core CGTP requirements and if the software either is custom software or is
commercially available software that has been customized or programmed (including software
programmed to perform a user defined calculation or table) to perform a function related to core
CGTP requirements.
Validation Center™ © 2016 Praxis Life Sciences 9
USA
FDA 21 CFR 106 Infant Formula Requirements Pertaining to
Current Good Manufacturing Practice, Quality Control
Procedures, Qualify Factors, Records and Reports,
and Notifications
Subpart B—Current Good Manufacturing Practice, Sec. 106.35
(2) A manufacturer shall check and document the accuracy of
input into, and output generated by, any system used in the
production or quality control of an infant formula to ensure that
the infant formula is not adulterated. The degree and frequency of
input/output verification shall be based on the complexity and
reliability of the system and the level of risk associated with the
safe operation of the system.
(3) A manufacturer shall ensure that each system is validated prior
to the release for distribution of any infant formula manufactured
using the system.
(4) A manufacturer shall ensure that any system that is modified is
revalidated following the modification and prior to the release for
distribution of any infant formula manufactured using the
modified system.
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European Union
• Austria
• Belgium
• Bulgaria
EC COUNCIL • Croatia
DIRECTIVE 93/42/EEC • Cyprus
• Czech Republic
• Denmark
ANNEX I • Estonia
ESSENTIAL REQUIREMENTS • Finland
• France
• Germany
12.1a For devices which • Greece
EudraLex Volume 4 • Hungary
incorporate software or which • Ireland
are medical software in Good Manufacturing • Italy
themselves, the software must Practice, Medicinal Products for • Latvia
• Lithuania
be validated according to the Human and Veterinary Use • Luxembourg
state of the art taking into • Malta
Annex 11 Computerised Systems • Netherlands
account the principles of • Poland
development lifecycle, risk • Portugal
management, validation and The application should be • Romania
• Slovakia
verification. validated; IT infrastructure should • Slovenia
be qualified. • Spain
• Sweden
• United Kingdom
Validation Center™ © 2016 Praxis Life Sciences 11
Brazil
Brazilian ANVS Good Practices of
Medicament Manufacturing
TITLE VIII GOOD PHYTOTHERAPIC MEDICAMENTS
MANUFACTURE PRACTICES, CHAPTER IV
VALIDATION, Art. 18.
Any aspect of operation, including significant
changes in the facilities, location, computer
systems, equipment or processes that can affect
product quality, directly or indirectly, must be
qualified and / or validated.
TITLE VII, COMPUTER INFORMATION SYSTEMS, Art.
573.
Validation shall be considered part of the
computer system’s life cycle, which includes the
planning, specification, scheduling, test,
documentation, operation, monitoring,
maintenance and change stages.
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Japan
Japan’s Guideline on Management of
Computerized Systems for Marketing Authorization
Holders and Manufacturers of Drugs and Quasi‐drugs
The purpose of this guideline is … to ensure proper
enforcement of the “Standards for Quality Assurance for
Drugs, Quasi‐drugs, Cosmetics and Medical Devices” … and
the “Standards for Manufacturing Control and Quality
Control for Drugs and Quasi‐drugs” … by …specifying the
necessary matters during development of computerized
systems, the validation items to verify such systems, … in
order to ensure such systems function as intended.
Validation Center™ © 2016 Praxis Life Sciences 13
ICH
ICH E6 Good Clinical Practice
ICH Q7A, Good When using electronic trial data handling
Manufacturing Practice for and/or remote electronic trial data systems,
Active Pharmaceutical Ingredients the sponsor should:
Ensure and document that the electronic
GMP related computerized systems should data processing system(s) conforms to
be validated. The depth and scope of the sponsor’s established requirements
validation depends on the diversity, for completeness, accuracy, reliability,
complexity, and criticality of the and consistent intended performance (i.e.
computerized application. validation)
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PIC/S
Argentina Members
Australia Applicants
Austria
Belgium Continued
Canada Malta
Chinese Taipei Netherlands
Croatia New Zealand
Cyprus Norway
Czech Republic Poland
Denmark Portugal
Estonia Romania
Finland Singapore
France Slovakia
Germany Slovenia
Greece South Africa
Hong Kong Spain
Hungary Sweden
Iceland Switzerland
Indonesia Thailand
Ireland Ukraine
Israel United Kingdom
Italy c USA
Japan
Korea
Latvia
Liechtenstein
Lithuania
Malaysia
Validation Center™ © 2016 Praxis Life Sciences 15
PIC/S
Argentina
Australia
PIC/S PE 005‐3 GMP Guide for Blood Establishments
Austria
Belgium 9.8 The hardware and software of the computers should be checked
Canada regularly to ensure reliability. The software (program) should be Continued
Cyprus Norway
Czech Republic validated before use. Poland
Denmark Portugal
Estonia Romania
PIC/S PE 009‐11 Guide to Good Manufacturing Practices Singapore
Finland
France for Medicinal Products Slovak Republic
Germany Slovenia
Greece 5.40 GMP related computerized systems should be validated. The South Africa
Hungary Spain
Iceland
depth and scope of validation depends on the diversity, complexity and Sweden
Indonesia criticality of the computerized application. Switzerland
Ireland Taiwan
Israel Ukraine
Italy PIC/S PE 011‐1 Guide to Good Distribution Practice for United Kingdom
Japan USA
Korea Medicinal Products
Latvia
Liechtenstein Before a computerised system is brought into use, it should be
Lithuania demonstrated, through appropriate validation or verification studies,
Malaysia
Malta that the system is capable of achieving the desired results accurately,
Netherlands consistently and reproducibly.
New Zealand
Validation Center™ © 2016 Praxis Life Sciences 16
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PIC/S
Argentina
Australia
Austria
Belgium
Canada Continued
Cyprus
PIC/S PI 011 Good Practices for Computerised Systems Used Norway
Czech Republic in Regulated “GXP” Environments Poland
Denmark Portugal
Estonia • 4.9 The regulated user should be able to demonstrate through the Romania
Finland Singapore
France
validation evidence that they have a high level of confidence in the Slovak Republic
Germany integrity of both the processes executed within the controlling Slovenia
Greece computer system and in those processes controlled by the computer South Africa
Hungary Spain
Iceland
system Sweden
Indonesia Switzerland
Ireland • 14.1 Regulated users need to be able to provide evidence for their Taiwan
Israel computerised systems to demonstrate their range, complexity, Ukraine
Italy functionality, control and validation status. United Kingdom
Japan USA
Korea
Latvia
• 16.1 Retrospective validation is not equivalent to prospective
Liechtenstein validation and is not an option for new systems.
Lithuania
Malaysia
Malta
Netherlands
New Zealand
Validation Center™ © 2016 Praxis Life Sciences 17
WHO
WHO Specifications for Pharmaceutical Preparations
6.3 Critical computerized systems should be validated before use.
WHO Good Manufacturing Practices for Pharmaceutical
Products: Main Principles
4.11 Particular attention should be paid to the validation of
analytical test methods, automated systems and cleaning
procedures.
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WWW.VALIDATIONCENTER.COM
Read
More
Validation Center™
www.PraxisLifeSciences.com
© 2016 Praxis Life Sciences 19
CSV Purpose
and Benefits
Part 2
Validation Center™ 20
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CSV Purpose and Benefits
Effectiveness
Safety
Integrity
Accuracy
Validation Center™ © 2016 Praxis Life Sciences 21
CSV Methodology
Part 3
Validation Center™ 22
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CSV Methodology
FDA Definitions
The FDA defines software validation as… Examine the
software to
confirm that it
Document all functions as
validation Confirmation by examination and defined in
activities and requirements
test results provision of objective evidence that and it will be
suitable for
software specifications conform to the intended
Define what
the user user needs and intended uses, and use
needs to do
with the that the particular requirements Define how
software
and how
implemented through software can be the software
needs to work
they will use consistently fulfilled to enable the
the software intended use
Source: General Principles of Software Validation: Final Guidance for Industry and FDA Staff
Validation Center™ © 2016 Praxis Life Sciences 23
CSV Methodology
CSV Model
Verifies
Planning
Planning Reporting
User Verifies
Performance
Requirements Qualification
Specification Tests (PQ)
Operational
Functional Verifies
Qualification
Specifications
Tests (OQ)
Validation Center™ © 2016 Praxis Life Sciences 24
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© 2016 Praxis Life Sciences. All rights reserved.
CSV Methodology
CSV Model
Verifies
Planning Reporting
User Verifies
Performance
Requirements
Requirements Qualification
Specification
Specification Tests (PQ)
Operational
Functional Verifies
Qualification
Specifications
Tests (OQ)
Validation Center™ © 2016 Praxis Life Sciences 25
CSV Methodology
CSV Model
Verifies
Planning Reporting
User Verifies
Performance
Requirements Qualification
Specification Tests (PQ)
Operational
Functional
Functional Verifies
Qualification
Specifications
Specifications
Tests (OQ)
Validation Center™ © 2016 Praxis Life Sciences 26
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1925 West Field Court, Suite 125, Lake Forest, IL 60045 | +1 (847) 295‐7160 validationcenter.com 13
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© 2016 Praxis Life Sciences. All rights reserved.
CSV Methodology
CSV Model
Verifies
Planning Reporting
User Verifies
Performance
Requirements Qualification
Specification Tests (PQ)
Operational
Functional Verifies
Qualification
Specifications
Tests (OQ)
Validation Center™ © 2016 Praxis Life Sciences 27
CSV Methodology
CSV Model
Verifies
Planning Reporting
User Verifies
Performance
Requirements Qualification
Specification Tests (PQ)
Operational
Functional Verifies
Qualification
Specifications
Tests (OQ)
System
System
Build
Build
Validation Center™ © 2016 Praxis Life Sciences 28
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© 2016 Praxis Life Sciences. All rights reserved.
CSV Methodology
CSV Model
Verifies
Planning Reporting
User Verifies
Performance
Requirements Qualification
Specification Tests (PQ)
Operational
Functional Verifies
Qualification
Specifications
Tests (OQ)
Validation Center™ © 2016 Praxis Life Sciences 29
CSV Methodology
CSV Model
Verifies
Planning Reporting
User Verifies
Performance
Requirements Qualification
Specification Tests (PQ)
Operational
Operational
Functional Verifies
Qualification
Qualification
Specifications
Tests (OQ)
Tests (OQ)
Validation Center™ © 2016 Praxis Life Sciences 30
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© 2016 Praxis Life Sciences. All rights reserved.
CSV Methodology
CSV Model
Verifies
Planning Reporting
User Verifies
Performance
Performance
Requirements Qualification
Qualification
Specification Tests (PQ)
Tests
Operational
Functional Verifies
Qualification
Specifications
Tests (OQ)
Validation Center™ © 2016 Praxis Life Sciences 31
CSV Methodology
CSV Model
Verifies
Planning Reporting
Reporting
User Verifies
Performance
Requirements Qualification
Specification Tests (PQ)
Operational
Functional Verifies
Qualification
Specifications
Tests (OQ)
Validation Center™ © 2016 Praxis Life Sciences 32
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© 2016 Praxis Life Sciences. All rights reserved.
CSV Methodology
Terminology
VALIDATION
Confirmation by examination and provision of objective evidence that
software specifications conform to user needs and intended uses, and
that the particular requirements implemented through software can be
consistently fulfilled. [FDA]
VERIFICATION
Software verification looks for consistency, completeness, and
correctness of the software and its supporting documentation, as it is
being developed, and provides support for a subsequent conclusion that
software is validated. [FDA]
QUALIFICATION
Formal testing to demonstrate that the software meets its specified
requirements. [IEEE]
Validation Center™ © 2016 Praxis Life Sciences 33
CSV Methodology
Terminology
VALIDATION
Confirmation by examination and provision of objective evidence that software
specifications conform to user needs and intended uses, and that the particular
requirements implemented through software can be consistently fulfilled.
URS Validation
Approval Report
VERIFICATION Performance QUALIFICATION
FS Approval
…consistency, Qualification Formal testing to
completeness, Design Operational demonstrate that
and correctness Review Qualification the software meets
of the software its specified
Code Installation
and its requirements.
Walkthrough Qualification
supporting
documentation, SOP
Unit Testing
…. Review
Training
Trace Matrix
Review
Validation Center™ © 2016 Praxis Life Sciences 34
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CSV Scope
Part 4
Validation Center™ 35
CSV Scope
What Software Requires Validation?
Medical Device Software
• Software used as a component, part, or accessory
of a medical device
• Software that is itself a medical device
What Types of
Computer
Systems and
Software Require
Validation?
Sources: General Principles of Software Validation: Final Guidance for Industry and FDA Staff
Guidance for Industry Part 11, Electronic Records; Electronic Signatures — Scope and Application
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CSV Scope
Examples: Medical Device Software
Medical Device Software
Software used as a component, part, or accessory of a medical device.
And, software that is itself a medical device.
Blood Donor
Defibrillator Patient Monitoring Injury Treatment
Management
Software Software Machine Software
Software
Laboratory Oxygen
Pacemaker Wheelchair and
Diagnostics Regulating
Software Scooter Software
Software Software
Validation Center™ © 2016 Praxis Life Sciences 37
CSV Scope
What Software Requires Validation?
Medical Device Software
• Software used as a component, part, or accessory
of a medical device
• Software that is itself a medical device
Production Software
What Types of • Software used in the production of the FDA
Computer regulated product
Systems and
Software Require
Validation?
Sources: General Principles of Software Validation: Final Guidance for Industry and FDA Staff
Guidance for Industry Part 11, Electronic Records; Electronic Signatures — Scope and Application
Validation Center™ © 2016 Praxis Life Sciences 38
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CSV Scope
Examples: Production Software
Production Software
Software used in the production of the FDA regulated product
Computer Laboratory
Material Control Product Testing
Numerical Calculations (e.g.,
Software Software
Controls (CNCs) spreadsheets)
Validation Center™ © 2016 Praxis Life Sciences 39
CSV Scope
What Software Requires Validation?
Medical Device Software
• Software used as a component, part, or accessory
of a medical device
• Software that is itself a medical device
Production Software
What Types of • Software used in the production of the FDA
Computer regulated product
Systems and
Software Require
Validation? Quality Management Software
• Software used to implement the FDA-required
quality management system
Sources: General Principles of Software Validation: Final Guidance for Industry and FDA Staff
Guidance for Industry Part 11, Electronic Records; Electronic Signatures — Scope and Application
Validation Center™ © 2016 Praxis Life Sciences 40
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CSV Scope
Examples: Quality Management Systems
Quality Management Software
Software used to implement the FDA-required quality management system
Document Non-Conformance
Change Control Calibration
Management Tracking
Software Software
Software Software
Validation Center™ © 2016 Praxis Life Sciences 41
CSV Scope
What Software Requires Validation?
Medical Device Software
• Software used as a component, part, or accessory
of a medical device
• Software that is itself a medical device
Production Software
What Types of • Software used in the production of the FDA
Computer regulated product
Systems and
Software Require
Validation? Quality Management Software
• Software used to implement the FDA-required
quality management system
Validation Center™ © 2016 Praxis Life Sciences 42
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CSV Scope
Examples: Records Software
Software for FDA-Regulated Records
Any software used to create, modify, maintain, archive, retrieve, or transmit
FDA-required records. And, electronic records submitted, per FDA requirement.
Warehouse
MDR Reporting Service Records Supplier Approval
Management
Software Software Records
Software
Validation Center™ © 2016 Praxis Life Sciences 43
CSV Scope
FDA Regulations
Validation Center™ © 2016 Praxis Life Sciences 44
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© 2016 Praxis Life Sciences. All rights reserved.
CSV Scope
FDA Regulations
Topic Part Title
Clinical Trials 21 CFR 50 Protection of Human Subjects
Clinical Trials 21 CFR 56 Institutional Review Boards
Nonclinical Lab 21 CFR 58 Good Laboratory Practice for Nonclinical Laboratory Studies
Studies
Drugs 21 CFR 210 Current Good Manufacturing Practice in Manufacturing, Processing,
Packing, or Holding of Drugs; General
Finished 21 CFR 211 Current Good Manufacturing Practice for Finished Pharmaceuticals
Pharmaceuticals
Drugs 21 CFR 312 Investigational New Drug Application
Drugs 21 CFR 314 Application for FDA Approval to Market a New Drug
Biological Products 21 CFR 600 Biological Products: General
Blood & 21 CFR 606 Current Good Manufacturing Practice for Blood and Blood
Components Components
Medical Devices 21 CFR 803 Medical Device Reporting
Medical Devices 21 CFR 806 Medical Devices: Reports of Corrections and Removals
Medical Devices 21 CFR 820 Quality System Regulation
Cells and Tissue 21 CFR 1271 Human Cells, Tissues, and Cellular and Tissue-Based Products
Products
Validation Center™ © 2016 Praxis Life Sciences 45
CSV Scope
FDA Regulations
Topic Part Title
Clinical Trials 21 CFR 50 Protection of Human Subjects
Clinical Trials 21 CFR 56 Institutional Review Boards
Nonclinical Lab 21 CFR 58 Good Laboratory Practice for Nonclinical Laboratory Studies
Studies
Drugs 21 CFR 210 Current Good Manufacturing Practice in Manufacturing, Processing,
Packing, or Holding of Drugs; General
Finished 21 CFR 211 Current Good Manufacturing Practice for Finished Pharmaceuticals
Pharmaceuticals
Drugs 21 CFR 312 Investigational New Drug Application
Drugs 21 CFR 314 Application for FDA Approval to Market a New Drug
Biological Products 21 CFR 600 Biological Products: General
Blood & 21 CFR 606 Current Good Manufacturing Practice for Blood and Blood
Components Components
Medical Devices 21 CFR 803 Medical Device Reporting
Medical Devices 21 CFR 806 Medical Devices: Reports of Corrections and Removals
Medical Devices 21 CFR 820 Quality System Regulation
Cells and Tissue 21 CFR 1271 Human Cells, Tissues, and Cellular and Tissue-Based Products
Products
Validation Center™ © 2016 Praxis Life Sciences 46
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© 2016 Praxis Life Sciences. All rights reserved.
CSV Scope
FDA Regulations
Topic Part Title
Clinical Trials 21 CFR 50 Protection of Human Subjects
Clinical Trials 21 CFR 56 Institutional Review Boards
Nonclinical Lab 21 CFR 58 Good Laboratory Practice for Nonclinical Laboratory Studies
Studies
Drugs 21 CFR 210 Current Good Manufacturing Practice in Manufacturing, Processing,
Packing, or Holding of Drugs; General
Finished 21 CFR 211 Current Good Manufacturing Practice for Finished Pharmaceuticals
Pharmaceuticals
Drugs 21 CFR 312 Investigational New Drug Application
Drugs 21 CFR 314 Application for FDA Approval to Market a New Drug
Biological Products 21 CFR 600 Biological Products: General
Blood & 21 CFR 606 Current Good Manufacturing Practice for Blood and Blood
Components Components
Medical Devices 21 CFR 803 Medical Device Reporting
Medical Devices 21 CFR 806 Medical Devices: Reports of Corrections and Removals
Medical Devices 21 CFR 820 Quality System Regulation
Cells and Tissue 21 CFR 1271 Human Cells, Tissues, and Cellular and Tissue-Based Products
Products
Validation Center™ © 2016 Praxis Life Sciences 47
CSV Scope
What About …
• Off‐The‐Shelf (OTS) Software?
• Configured Applications? For example, a device
• Software as a Service (SAAS) manufacturer who chooses
Applications? not to use all the vendor‐
• Systems in the Cloud? supplied capabilities of the
software only needs to
validate those functions
that will be used and for
1 which the device
manufacturer is dependent
Validation scope can be upon the software results
as part of production or the
limited to the features that quality system
will be used by the FDA, General Principles of
regulated company Software Validation
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CSV Scope
What About …
• Off‐The‐Shelf (OTS) Software?
• Configured Applications? The acceptance of vendor‐
supplied validation data in
• Software as a Service (SAAS) isolation of system
Applications? configuration and intended
• Systems in the Cloud? use is not acceptable. In
isolation from the intended
process or end user IT
infrastructure, vendor
2 testing is likely to be limited
Validation must be to functional verification
only, and may not fulfil the
specific to the regulated requirements for
company’s planned and performance qualification.
Validation Center™ © 2016 Praxis Life Sciences 49
CSV Scope
What About …
• Off‐The‐Shelf (OTS) Software? If the vendor can provide
information about their system
• Configured Applications? requirements, software
• Software as a Service (SAAS) requirements, validation process,
and the results of their
Applications? validation, the medical device
• Systems in the Cloud? manufacturer can use that
information as a beginning point
for their required validation
documentation.
3 FDA, General Principles of
Software Validation
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CSV Scope
What About …
• Off‐The‐Shelf (OTS) Software? The audit should demonstrate
that the vendor’s procedures for
• Configured Applications? and results of the verification
• Software as a Service (SAAS) and validation activities
Applications? performed for the OTS software
• Systems in the Cloud? are appropriate and sufficient for
the safety and effectiveness
requirements …
FDA, General Principles of
4
Software Validation
Validation Center™ © 2016 Praxis Life Sciences 51
CSV Scope
What About …
• Off‐The‐Shelf (OTS) Software? When third parties (e.g.
• Configured Applications? suppliers, service providers)
• Software as a Service (SAAS) are used e.g. to provide, install,
configure, integrate, validate,
Applications? maintain (e.g. via remote
• Systems in the Cloud? access), modify or retain a
computerised system or
related service or for data
processing, formal agreements
5 must exist between the
manufacturer and any third
parties, and these agreements
Formal agreements are should include clear
statements of the
required to document responsibilities of the third
responsibilities party.
Eudralex Annex 11,
Computerised Systems
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CSV Failure
Consequences
Part 5
Validation Center™ 53
Consequences
FDA Enforcement Tools
• Warning Letter
• Injunction
• Product seizure
• Import restrictions
• Clinical hold
• Delay in approval of new products or facilities
• Consent decree
• Rejection of application data
• Disqualification of clinical investigators
• Debarment
• Criminal prosecution
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Consequences
Warning Letter Statistics
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Consequences
Warning Letter Example
Company German manufacturer of endoscopic grasping/cutting instruments
System Purchased, configured ERP used for production planning and quality
records. NOTE: Software vendor performed installation and upgrades
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Consequences
Warning Letter Example
Company California manufacturer of wound bio-engineered alternative tissue devices
Warning • Your firm did not validate use of an Excel spreadsheet used to calculate the
Except Moisture Vapor Transmission Rate (MVTR)
Validation Center™ © 2016 Praxis Life Sciences 57
Consequences
Warning Letter Example
Company Idaho manufacturer of radiopharmaceuticals
System Custom developed system for batch records, calculations, and label generation
• Firm's custom software for Master Batch Production record has not been
Warning
validated. This software is responsible for generating the batch production
Letter record, performing calculations to produce varying concentrations of drug
Except product, and generating label information for customer vials and lead pigs.
System Custom developed system for tech calls, complaints, and service records
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Consequences
Warning Letter Example
Company German manufacturer of sterile and non-sterile needles and sutures
• Your firm uses custom automatic machines in the needle production process.
Warning
Your firm stated that it performed software validation for the automatic
Letter machines and that the software protocol was tested, but these validation
Except activities were not documented.
Warning • Your firm went live with version 2.0.0 of the Hemocare Lifeline (HCLL) Donor
Letter Module; however, the validation of Module 15, Product Labeling, was
Except incomplete in that it was not reviewed, accepted, or signed off by a responsible
individual.
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CSV Program
Implementation
Part 6
Validation Center™ 60
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CSV Program Implementation
Procedure Examples CAPA (if out of compliance)
• How to validate Validation Master Plan
• How to perform risk • Policies, Procedures
assessment • Inventory
• How to audit vendors • Validation Timeline
Assess
Inventory and
Develop
Define Train Systems Prioritize Document
SOPs and Validate!
Policies Staff and Systems Plan
Templates
Software and
Software
Validation Center™ © 2016 Praxis Life Sciences 61
CSV Program Implementation
CSV Program
Implementation Validation
Services
Assess
Inventory and
Develop
Define Train Systems Prioritize Document
SOPs and Validate!
Policies Staff and Systems Plan
Templates
Software and
Software
Online and Classroom Independent
ValidationCenter.com Library CSV Training Audits
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without prior written permission from Praxis is prohibited.
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Thank You!
Thanks for your interest in Computer System Validation
Deb Bartel
+1 (847) 295‐7160
dbartel@praxislifesciences.com
validationcenter.com | praxislifesciences.com
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