- Key Notes on Revised Schedule M: Phytopharmaceuticals - January 25, 2025
- Key Notes on Revised Schedule M: Radiopharmaceutical Products - January 20, 2025
- Qualification and Experience: For Technical Staff in Medical Devices - January 18, 2025
Last Updated on January 25, 2025 by The Health Master
Phytopharmaceuticals
Key considerations for Phytopharmaceuticals for compliance under revised Schedule M are outlined below.
Continued from: Key Notes on Revised Schedule M: Radiopharmaceutical Products
Good Manufacturing Practices for Pharmaceutical Products
Revised Schedule M: Essential GMP Guidelines for Phytopharmaceuticals Manufacturers in India
Navigating the Revised Schedule M: Essential GMP Guidelines for Phytopharmaceuticals Manufacturers in India
The revised Schedule M in India outlines specific Good Manufacturing Practices (GMP) requirements for the production of Phytopharmaceuticals.
These guidelines aim to ensure the safety, quality, and efficacy of these vital Phytopharmaceuticals products.
Key requirements
- Good Manufacturing Practices (GMP) for pharmaceutical products apply to the manufacture of Phytopharmaceuticals, with additional requirements specific to their nature.
- Quality assurance requires control of starting materials, storage, processing, and use of modern analytical techniques.
- Critical equipment qualification, process validation, and change control are essential for production consistency.
- A high level of sanitation and hygiene is necessary throughout manufacturing to avoid contamination.
- Personnel involved in production and quality control must be adequately trained on the specific characteristics of Phytopharmaceuticals.
- Premises design, construction, and maintenance must consider the potential for degradation, infestation, and microbial contamination.
- Storage areas must be well-organized, clean, and labeled to prevent cross-contamination.
- Effective cleaning methods are necessary to prevent dust generation and cross-contamination during processing.
- All incoming plant materials must be quarantined and stored under appropriate conditions.
- Reference standards for phytopharmaceuticals may include botanical samples, plant preparations, or chemically defined substances.
- Specifications for starting materials, plant preparations, and finished phytopharmaceuticals should focus on ensuring safety and efficacy.
- Finished product specifications should include tests for microbiological contamination, uniformity of weight, physical appearance, and other relevant characteristics.
- The control tests and specifications should allow for the determination of the main active constituents.
Testing Requirements
Identity and Quality:
- Manufacturers must test the identity and quality of all plant materials, plant preparations (including extracts), and finished phytopharmaceutical products.
Categorization of Testing:
- Testing approaches depend on the knowledge of active constituents:
Known and Quantifiable Active Constituents:
- Test for and quantify the identified active constituents.
Known Main Component Group:
- Test for and quantify the main group of components contributing to activity (e.g., total essential oils or a representative substance like flavonoids).
Known Marker Substances:
- If active constituents aren’t identified or quantifiable, test for known marker substances.
Other (No Quantification):
- If quantification isn’t applicable or feasible, use other suitable tests, such as fingerprint chromatograms.
Identification Methods:
Use specific identification methods to differentiate the required plant material from potential substitutes or adulterants:
- Physical/Macroscopic/Microscopic Tests
- Chromatographic Procedures (TLC, HPLC, HPTLC, GLC)
- Spectrometric Techniques (UV-VIS, IR, NMR, MS)
- Chemical Reactions
Reference Samples:
- Maintain reference samples of plant materials for comparative testing (e.g., visual/microscopic examination, chromatography).
Quantitative Determination:
- Quantify known active components (for categories a and b) and marker substances (for category c).
Method Development:
- Develop and execute quality control methods in line with specification requirements, selecting tests characteristic of the analyte.
Fingerprint Chromatograms:
- For materials in category (d), use characteristic chromatograms (fingerprints) to track main constituents, acknowledging potential variations between deliveries and batches.
Stability Studies
Stability Data:
- If an expiry date is given for plant material or preparations, supporting stability data must be available. Stability data is always required for finished products.
Comprehensive Stability Assessment:
- Since the entire plant material is considered the active ingredient, simply determining the stability of known active constituents is usually insufficient.
Chromatographic Analysis:
- Use chromatography to trace changes during storage, demonstrating that the identified active ingredient (if any) and other substances remain stable and within defined limits.
Consistent Fingerprint Methods:
- Use fingerprint methods for stability studies that are as similar as possible to those used for quality control.
Established Methods:
- Use widely accepted methods for assaying identified active ingredients, constituents with known therapeutic activity, and markers.
Additional Tests:
- Emphasize other tests (moisture content, microbial contamination, dosage form control) to determine finished product shelf-life.
Preservative/Stabilizer Monitoring:
- Monitor the stability of preservatives and stabilizers. If none are used, perform alternative tests to ensure self-preservation over the product’s shelf-life.
Storage Conditions:
- Store stability study samples in the containers intended for marketing.
Batch Inclusion:
- Include the first three commercial production batches in the stability monitoring program to confirm the expiry date.
- Fewer batches may be acceptable if previous data (including pilot batches) indicates stability for at least two years.
Ongoing Stability Studies:
- Document a protocol for ongoing stability studies, typically involving one batch per year in a monitoring program.
Packaging and Labeling
Packaging Material Control:
- Store packaging materials properly and implement controls to prevent the use of incorrect labels and cartons.
Container Cleaning:
- Thoroughly clean and dry all containers and closures before packing.
Label Information:
- Provide adequate label (or package insert) information: composition, indications/actions, directions for use, cautions, adverse reactions (if any), and expiry date.
Quantitative Composition:
- Unless fully justified, state the full quantitative composition of phytopharmaceutical ingredients on the label.
- If not possible, list at least the main ingredients on the label and the full qualitative composition on the package insert.
Expression of Active Ingredients:
Express qualitative and quantitative particulars of active ingredients as follows:
Comminuted/Powdered Plant Materials:
- State the quantity of plant material or, if constituents with known therapeutic activity are unidentified, state the quantity of the preparation. Alternatively, provide a range corresponding to a defined quantity of constituents with known therapeutic activity.
Plant Preparations (Beyond Commination):
- State the nature and concentration of the solvent and the extract’s physical state.
- Also indicate the equivalent quantity or ratio of plant material to preparation (if therapeutic activity is unknown).
- If therapeutic activity is known, provide a range corresponding to a defined quantity of the constituents.
Solvent Information:
- Identify the composition of any solvent or solvent mixture used and the extract’s physical state.
Added Substances:
- If any substance is added to adjust constituent levels or for any other purpose, describe them as “other ingredients” and the genuine extract as the “active ingredient.”
- If different extract batches are used for adjustment, the final mixture is considered the genuine extract and listed as the “active ingredient.”
Please note: This information is for general guidance only and may not be exhaustive. Refer to the official regulations and any applicable guidance documents for specific requirements and interpretations.
Compiled by:
Rakesh Dahiya, SDCO cum Licensing Authority, FDA Haryana
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