Good Storage and Shipping Practices USP 39
Good Storage and Shipping Practices USP 39
Good Storage and Shipping Practices USP 39
USP 36
Definitions
Adulteration: FDA FDC Act, SEC. 501 (351), A drug
or device shall be deemed to be adulterated, if (2)(A) It
has been prepared, packed, or held under insanitary
conditions it may have been contaminated with filth, or
whereby it may have been rendered injurious to health;
or (B) the methods used in, or the facilities or controls
used for, its manufacture, processing, packing, or holding do not conform to or are not operated or administered in conformity with current good manufacturing
practice to assure that such drug meets the requirements
of this Act as to safety and has the identify and strength,
and meets the quality and purity characteristics, which it
purports or is represented to possess.
Continuous improvement: Recurring activity to increase the ability to fulfill requirements (see Quality Management SystemsFundamentals and Vocabulary. ISO
Standard 9000:2005).
Distribution: Refers to elements such as shipping and
transportation activities that are associated with the
movement and supply of drug products.
Distribution Management System: A program that
covers the movement, including storage and transportation, of drug products.
Documentation: Recorded information.
Drug products: Medicines, including marketed human
and veterinary prescription finished dosage medications,
in-process/intermediate/bulk materials, drug product
samples, clinical trial materials, over-the-counter products
(OTC).
End user: The patient as well as the healthcare provider administering the drug product to the patient.
Environmental Management System: A management
system that allows for the identification of quality critical
environmental aspects (such as temperature, humidity,
and/or other environmental factors) for the drug product
and ensures that adequate processes to maintain that
environment are in place.
Hazardous materials and/or dangerous goods: Any
item or chemical which, when being transported or
moved, is a risk to public safety or the environment, and
is regulated as such under any of the following: Hazardous Materials Regulations (49 CFR 100180); International Maritime Dangerous Goods Code; Dangerous
Goods Regulations of the International Air Transport Association; Technical Instructions of the International Civil
Aviation Organization; or the U.S. Air Force Joint Manual,
Preparing Hazardous Materials for Military Air Shipments.
International Conference on Harmonization (ICH)
Guidance for Industry, Q10 Pharmaceutical Quality System; ICH Q9, Quality Risk Management; and, ICH Q1A R2,
Stability Testing of New Drug Substances and Products:
SCOPE
Good storage and distribution practices apply to all organizations and individuals involved in any aspect of the storage and distribution of all drug products, including but not
limited to the following:
Manufacturers of drug products for human and veterinary use where manufacturing may involve operations
at the application holders facilities (i.e., facilities that
BACKGROUND INFORMATION
Storage and distribution processes may involve a complex
movement of product around the world, differences in documentation and handling requirements, and communication
among various entities in the supply chain. The translation
of best practices into good storage and distribution meets
these challenges and sets forth a state of control.
The good storage and distribution practices described in
this chapter should facilitate the movement of drug products throughout a supply chain that is controlled, measured,
and analyzed for continuous improvements and should
maintain the integrity of the drug product in its packaging
during storage and distribution.
RESPONSIBILITIES
The holder of the drug product application, the drug
product manufacturer (in the case of many OTCs, where
there is no application) and the repackager bear primary
responsibility and accountability including but not limited to
the following:
The decision for regulatory submissions, where applicable, relative to the contents of this chapter for the storage and distribution of drug products. If breaches occur
in any of the QMS systems and cannot be justified or
USP 36
USP 36
Good storage and distribution practices require that entities involved in the storage and/or distribution of drug products maintain a Quality Management System (QMS) that is
based on standard quality concepts, includes good manufacturing practice (GMP) in compliance with the appropriate
regulatory agency(s), and is complementary to the ICH
quality guidances, including ICH Q10 Pharmaceutical Quality
System and ICH Q9 Quality Risk Management. In the context
of this chapter, the QMS includes the following management system programs: (1) Storage Management System, (2)
Distribution Management System, (3) Environmental Management System, and (4) Risk Management System.
The storage and distribution QMS should, at minimum,
cover the following elements: corrective and preventive actions (CAPA), change management, deviation/investigation
management, and the management review process.
Written agreements (e.g., Quality Agreement, Technical
Agreement, Service Level Agreements) should be in place
between applicable organizations involved in the drug product supply chain. This means that the originating manufacturer may not be required to hold a Written Agreement
with all parties in the supply chain. The use of written
agreements ensures clarity and transparency, and delineates
the responsibilities of each organization in the supply chain.
USP 36
USP 36
USP 36
USP 36
Road vehicles used to transport drug products (e.g., ambulances and other emergency response vehicles, vans, or
automobiles, including those used by sales representatives
to transport physicians samples) should be suitable for their
purpose. Monitoring devices should be placed in different
areas of the trunk or cabin where the drug product will be
positioned during seasonal extremes (e.g., summer and winter). The monitor should be secured so that it is immobile,
and there should be no ambiguity about its exact position
within the payload so that the monitor is always placed in
the same position. Monitoring devices used on or in packages or on containers may also be used. Suitable measures
should be taken to maintain the drug product within the
allowable limits of the labeled storage requirements. Storage
of physician drug product samples by sales representatives is
regulated under 21 CFR Part 203.34(b)(4).
CONCLUSION
The practices and processes set forth in this general information chapter apply to storage and distribution as part of
the life-cycle management of drug products. All involved
should ensure the product to its point of use, creating a
contiguous supply network that is collaborative and emphasizes preventive measures to protect drug product quality.
USP 36
The increase in global processes coupled with products requiring special environmental controls highlights the need
for a strong QM program. QM should provide the foundation for maintaining the storage and distribution practices in
a continual improvement program and part of an overall
management system review by each entity, as appropriate,
in the supply chain.
It is equally important to stay current and be ready to
change as new solutions evolve. These new technologies
should be considered in developing strategies for good distribution practices, controls, and procedures.