3.2.P.4.4 — Excipient Justification of Specifications
Justification for excipient specifications not based on pharmacopeial standards
Requirements by Phase
Justification for excipient specifications not based on pharmacopeial standards
Requirements by Phase
IND Phase 1: minimal IND Phase 2: minimal IND Phase 3: minimal NDA: required
Content (NCE/Small Molecule)
- Justification for the proposed excipient specifications
- Residual solvent limits justification (if applicable)
Expected Deliverables
- Excipient specification justification document
ICH Guidelines: Q3C, Q6B
Regulatory Requirements (FDA IND PHASE 2 3 CMC)
- [All] Certain information traditionally submitted in information amendments, identified as corroborating information, can be submitted in an annual report.
- [Phase 2] Limited phase 2 corroborating information recommended in section III need not be submitted before initiation of phase 2 studies and can be generated during phase 2 drug development.
- [Phase 3] Phase 3 corroborating information recommended in section IV need not be submitted before the initiation of phase 3 studies and can be generated during phase 3 drug development.
- [All] Corroborating information and a summary of CMC safety information submitted during a subject-reporting period should be included in the annual report, eliminating the need for general CMC updates at the end of phase 1 or phase 2.
- [All] CMC safety information should be submitted to support the safe use of the drug.
- [Phase 2] The CMC safety information identified in section III (Phase 2 Studies) should be submitted before initiation of the phase 2 studies.
- [Phase 3] The CMC safety information identified in section IV (Phase 3 Studies) should be submitted before initiation of the phase 3 studies.
- [All] When new information becomes available that relates to the safe use of the drug or when there are changes in previously submitted CMC safety information, it should be submitted during IND clinical trials in an information amendment.
- [All] For changes with a significant potential to affect the safety of the product, an information amendment should be submitted describing the changes and containing relevant information at a level of detail sufficient for an adequate review and assessment.
- [Phase 2] Corroborating information specified in section III (Phase 2 Studies) that is generated during phase 1 need not be submitted until the first annual report after initiation of phase 2 studies.
- [Phase 2] Corroborating information specified in section III (Phase 2 Studies) that is generated during phase 2 studies should be submitted in the next annual report after the information becomes available.
- [Phase 3] Corroborating information specified in section IV (Phase 3 Studies) that is generated earlier during phase 1 and phase 2 need not be submitted until the first annual report after initiation of phase 3 studies.
- [Phase 3] Corroborating information specified in section IV (Phase 3 Studies) that is generated during phase 3 studies should be submitted in the next annual report after the information becomes available.
- [Phase 2] Updates on the brief description of the drug substance and a more detailed description of the configuration and chemical structure for complex organic compounds should be provided.
- [Phase 2] The addition, deletion, or change of any manufacturer of the drug substance from that specified during phase 1 should be reported.
Source: ICH Q6A
References
Related Sections
Up to3.2.P — Drug ProductDescription of dosage form and quantitative composition including overages
Development of dosage form, formulation, manufacturing process, container closure, and microbiological attributes
Drug substance compatibility with excipients, excipient choice rationale
Formulation development, overages justification, physicochemical/biological properties
Manufacturing process development and optimization studies
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