"Compliance - A New Jargon in Clinical Research" - A Sponsor Perspective
Radhika Inapakolla, Asst. Director, Lupin Limited
Clinical Research has become increasingly cautious about
regulatory compliance, with the heightened scope of compliance requirements.
The quality, as judged by many regulatory inspections of the investigator
sites, sponsors/contract research organizations and Institutional Review Board,
has become a core focus for the inspectors to give an insight on understanding
of Compliance by these different stake holders. In recent times there were a
lot of deficiencies and non GCP practices identified and caught which are on a
common grounds of fraud and misleading the study conduction.
This led FDA in developing new approaches of risk-based
inspection planning. To help implement new risk management approaches, CDER
reorganized Office of Compliance (OC) to create the Division of Compliance Risk
Management and Surveillance.
To meet the regulatory expectations, the sponsors need to
improve and demonstrate quality and integrity of data by developing systems
such as compliance team/ data integrity cell which is above quality assurance.
Although the inception of quality systems was to mitigate
compliance risk, clinical quality systems within the GCP framework are now not
adequate as per the expectations of regulatory bodies due to constant changes
in perception of inspectors.
The goal of compliance program is to promote operational
excellence, best practices, and regulatory compliance in clinical research
where sponsors need to hold the ownership of end-to-end from strategic
designing through regulatory reliance of scientific sanctity, safe and
efficacious product consumption.
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