From drugs to medical devices to nutraceuticals and imports, the FDA inspects all manufacturers that produce products to GxP standards for compliance.
Under the Federal Food, Drug and Cosmetic Act, the FDA is required to inspect manufacturers at least once every two years––even more for companies just getting started, those with a history of compliance problems, and those who have started producing products significantly different from what they produced before.
With a stepped effort by the FDA to monitor the growing number of manufacturers entering the market, many new companies struggle to understand what to expect and how to prepare when inspectors show up at their door.
While the FDA’s Investigations Operations Manual offers the best complete resource for preparing to host an inspector auditor, or any other compliance specialist, we’ve summarized a few of the basic things to prepare for no matter what manufacturing space you’re in.
It’s one of the biggest questions new manufacturers ask:
“Will we be notified of an upcoming FDA inspection or not?”
The short answer: Maybe, maybe not.
Inspectors aren’t required to give notice of their arrival ahead of time, but if they don’t, they still need to make their presence known when they arrive.
Once an inspector arrives at your facility, he or she will present official FDA identification along with the FDA form 482 Notice of Inspection which clearly lays out what the inspector may and may not inspect during their visit.
As a general rule of thumb, it’s best to meet the inspector at arrival and discuss the agenda for the day. Most importantly, be sure to set aside time at the end of each inspection session to review, answer questions and provide clarification on anything the inspector might want to know more about or may have seen as a problematic.
These review periods can go a long way in avoiding additional exploration and can clear up any misunderstandings that pose problems down the road. If the inspector notes a problem you’re currently addressing, take the time to clearly lay out your process improvement with them one-on-one.
After giving official notice of inspection and running through the agenda, the inspector will get to work.
When the FDA conducts an inspection, the inspectors will look for a number of specific components within your Quality Management System (QMS):
This is just an abbreviated list of the inspection points common among manufacturers in general. Read the FDA’s Investigations Operations Manual for a complete explanation of the investigations process.
After completing their audit, the inspector will meet with company management to review the findings and bring to light any issues they found along the way.
Keep in mind that the closeout meeting isn’t simply a report. It’s meant to start a discussion to better understand the regulatory deficiencies and any steps you’re currently taking to remedy them.
Following the closeout meeting, the inspection will come to a close.
After the inspection is complete, you’ll receive a letter from the FDA documenting the inspector’s findings.
If regulatory deficiencies were found, they’ll be listed in the FDA form 483. In addition, the inspector will give a timetable or rough timeline by which any corrections should be made.
Lastly, you’ll be given instructions on how to respond to these observations.
After your responses are received, the investigator will write and submit an Establishment Inspection Report to the compliance office. If major compliance problems or any other kind of legal violation was identified, the Agency will take further disciplinary actions as needed in the form of warning letters, consent decrees and/or detentions.
Want to learn more about regulatory and compliance auditing and the FDA? Grab our free white paper: GxP Audits Overview.