0458ssBPDliz final 6 2010doc

0458ssBPDliz final 6 2010doc.doc

Biological Products: Reporting of Biological Product Deviations in Manufacturing; Forms 3486 and 3486A

OMB: 0910-0458

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Biological Products: Reporting of Biological Product Deviations and Human Cells, Tissues, and Cellular and Tissue-Based Product Deviations; Form FDA 3486 and Addendum 3486A


OMB# 0910-0458


SUPPORTING STATEMENT


Justification

1. Circumstances Making the Collection of Information Necessary


The Food and Drug Administration (FDA) is requesting a revision of Office of Management and Budget (OMB) control No. 0910-0458 and OMB approval for the information collection for provisions including Forms FDA 3486 and FDA 3486A. A summary of the information collection provisions in 21 CFR Parts 600, 606, and 1271 are listed below:


Section (§) 600.14 (Reporting) -

Requires the licensed manufacturer who holds the biological product license, for other than human blood and blood components, and who had control over the product when the deviation occurred, to report to the Center for Biologics Evaluation and Research (CBER) or to the Center for Drugs Evaluation and Research (CDER) as soon as possible but not to exceed 45 calendar days after acquiring information reasonably suggesting that a reportable event has occurred.


Section (§) 606.171 (Reporting) -

Requires a licensed manufacturer of human blood and blood components, including Source Plasma; an unlicensed registered blood establishment; or a transfusion service who had control over the product when the deviation occurred, to report to CBER as soon as possible but not to exceed 45 calendar days after acquiring information reasonably suggesting that a reportable event has occurred.


Section (§) 1271.350(b) (Reporting) -

Requires non-reproductive establishments described in § 1271.10 to report to CBER all human cells, tissues, and cellular and tissue-based product (HCT/P) deviations relating to a distributed HCT/P that relates to the core current good tissue practice (CGTP) requirements, if the deviation occurred in the establishment’s facility or in a facility that performed a manufacturing step for the establishment under contact, agreement, or other arrangement; and to report such HCT/P deviations within 45 days of the discovery of the event.

Form FDA 3486 is used to submit biological product deviation (BPD) and HCT/P deviation reports. FDA also developed an addendum to Form FDA 3486 to provide additional information when a BPD report submitted under § 606.171 has been reviewed by FDA and evaluated as a possible recall.


Under section 351 of the Public Health Service Act (PHS Act)(42 U.S.C. 262), all biological products, including human blood and blood components, offered for sale in interstate commerce must be licensed and meet standards, including those prescribed in the FDA regulations, designed to ensure the continued safety, purity, and potency of such products. In addition under section 361 of the PHS Act (42 U.S.C. 264), FDA may issue and enforce regulations necessary to prevent the introduction, transmission, or spread of communicable diseases between the States or possessions or from foreign countries into the States or possessions. Further, the Federal Food, Drug, and Cosmetic Act (the act) (21 U.S.C. 351) provides that drugs and devices (including human blood and blood components) are adulterated if they do not conform with Current Good Manufacturing Practice (CGMP) assuring that they meet the requirements of the act. Establishments manufacturing biological products including human blood and blood components must comply with the applicable CGMP regulations (21 CFR Parts 211, 606, and 820) and CGTP regulations (21 CFR Part 1271) as appropriate. FDA regards BPD reporting and HCT/P deviation reporting to be an essential tool in its directive to protect public health by establishing and maintaining surveillance programs that provide timely and useful information.


2. Purpose and Use of the Information Collection


The objectives of the BPD reporting and HCT/P deviation reporting requirements are to: (1) Enable FDA to respond when public health may be at risk; (2) expedite reporting of BPD and HCT/P deviations in manufacturing; (3) provide FDA with uniform data to track trends that may indicate broader threats to the public health; (4) create a uniform reporting requirement that can be enforced against non-complying entities; and (5) help ensure that licensed manufacturers and unlicensed blood establishments as well as manufacturers of HCT/Ps are taking appropriate actions to investigate and correct biological product deviations. The reporting system is not intended to overlap quality assurance (QA) programs, but instead builds on those QA programs to assure better protection of the public health. Reporting of BPDs and HCT/P deviations will also enable FDA to identify areas in which further regulation or guidance is needed to assist licensed manufacturers and unlicensed blood establishments as well as non-reproductive HCT/P establishments in decreasing the occurrence of these events.

3. Use of Improved Information Technology and Burden Reduction


FDA has prepared a standardized form for reporting deviations in the manufacturing of a biological product (BPDR, Form FDA 3486) that may be downloaded from CBER’s website. After completion, the form is sent to the address identified in §§ 600.14(e), 606.171(e), or 1271.350(b)(3). In an effort to expedite and simplify reporting, FDA also provides industry the opportunity to complete and submit the Form FDA 3486 electronically. The establishment may create a user account and insert the requested information into the appropriate fields on-line and submit the report through CBER’s website. The addendum to Form FDA 3486 (Form FDA 3486A) is also web-based and can be submitted electronically.

4. Efforts to Identify Duplication and Use of Similar Information


In an effort to reduce duplicative reporting, FDA has reviewed other reporting programs. There are some programs that may be misconstrued as being duplicative, but are not duplicative because of their difference in orientation. These programs are: (1) Adverse Experience Reporting for licensed biological products (AER, 21 CFR 600.80), which excludes blood, blood components, and in vitro diagnostic kits: (2) Medical Device Reporting (MDR, 21 CFR Part 803): and (3) Adverse Reaction Reports for HCT/Ps (ARR, 21 CFR 1271.350). BPD reporting and HCT/P deviation reporting by a firm focuses on the impact deviations in manufacturing have or may have on the safety, purity, and potency of the final product, whereas, AER, MDR, and ARR reports are focused on the adverse effect of the product on the patient or user.

5. Impact on Small Businesses or Other Small Entities


Although FDA must apply the statutory and regulatory requirements equally to all enterprises, the agency does provide special help to small businesses. CBER’s Office of Communication, Outreach, and Development, Division of Manufacturers Assistance and Training, provides assistance to small businesses subject to FDA’s regulatory requirements. CDER’s Office of Communication, Division of Drug Information, also provides assistance to small businesses.

6. Consequences of Collecting the Information Less Frequently


Less frequent information collection would not provide the information necessary for FDA to monitor the safety, purity, and potency of distributed biological products. BPD reports and HCT/P deviation reports, in conjunction with inspections and other surveillance activities, give FDA a continuing overview of the biological product industry. Less frequent collection of information would inhibit FDA’s oversight. There are no technical or legal obstacles to reducing the burden.


7. Special Circumstances Relating to the Guidelines of 5 CFR 1320.5


The information may be reported to FDA more frequently than quarterly based on the frequency of BPD reports and HCT/P deviation reports that may occur during manufacturing.


8. Comments in Response to the Federal Register Notice and Efforts to Consult Outside the

Agency


In accordance with 5 CFR 1320.8(d), FDA published a 60-day notice for public comment in the Federal Register of November 18, 2009 (74 FR 59556). No comments were received from the public.


9. Explanation of Any Payment or Gift to Respondents


No payment or gift has been or will be provided to respondents.


10. Assurance of Confidentiality Provided to Respondents


The confidentiality of information received by FDA would be consistent with the Freedom of Information Act (FOIA) and the FDA’s published regulations of “Public Information” under 21 CFR Part 20.


11. Justification for Sensitive Questions


Questions of a sensitive nature are not applicable to this information collection.


12. Estimates of Annualized Burden Hours and Costs


The total annual estimated burden imposed by this collection of information is 90,029.5 hours.



Estimated Annual Reporting Burden1


21 CFR Section

FDA Form Number

No. of Respondents

Annual Frequency per Response

Total Annual Responses

Hours per Response

Total Hours

600.14

3486

51

7.78

397

2.0

794


606.171

3486

1,533

28.78

44,125

2.0

88,240


1271.350(b)

3486

84

2.64

222


2.0

444


3486A1

77

28.65

2,206

0.25

551.5

Total






90,029.5

1Five percent of the number of respondents (1,533 x 0.05 = 77) and total annual responses to CBER (44,125 x 0.05 = 2,206).


Respondents to this collection of information are the licensed manufacturers of biological products other than human blood and blood components, licensed manufacturers of blood and blood components including Source Plasma, unlicensed registered blood establishments, transfusion services, and establishments that manufacturer non-reproductive HCT/Ps regulated solely under section 361 of the PHS Act as described in § 1271.10. The number of licensed manufacturers and total annual responses under § 600.14 include the estimates for both CBER and CDER. The number of total annual responses is based on the number of BPD reports and HCT/P deviation reports FDA received in fiscal year (FY) 2008. Based on information from industry, the estimated average time to complete and submit a deviation report is 2 hours, which includes a minimal one-time burden to create a user account for those reports submitted electronically. The availability of the standardized report Form FDA 3486, and the ability to submit this report electronically to CBER (CDER does not currently accept electronic filings) further streamlines the report submission process.


CBER has developed an addendum to Form FDA 3486. The web-based addendum (Form FDA 3486A) provides additional information when a BPD report has been reviewed by FDA and evaluated as a possible recall. The additional information requested would include information not contained in the Form FDA 3486 such as: (1) Distribution pattern; (2) method of consignee notification; (3) consignee(s) of products for further manufacture; (4) additional product information; (5) updated product disposition; and (6) industry recall contacts. This information is requested by CBER through e-mail notification to the submitter of the BPD report. This information is used by CBER for recall classification purposes. Form FDA 3486A is used only for those BPD reports submitted under § 606.171. Form FDA 3486A is not used for the biological products regulated by CDER because they receive very few BPD reports and do not accept electronic filings. CBER estimates that 5 percent of the total BPD reports submitted to CBER would need additional information submitted in the addendum. CBER estimates that it would take between 10 to 20 minutes to complete the addendum. For calculation purposes, CBER is using 15 minutes.


Activities such as investigating, changing standard operating procedures (SOPs) or processes, and follow-up are currently required under 21 CFR Part 211, (approved under OMB control number 0910-0139), Part 606 (approved under OMB control number 0910-0116), Part 820 (approved under OMB control number 0910-0073), and Part 1271 (approved under OMB control number 0910-0543) and, therefore, are not included in the burden calculation for the separate requirement of submitting a deviation report to FDA.


Cost to Respondents


The estimated annualized cost to the respondents is $3,601,580.


Activity

No. of Hours

Cost per Hour

Total Cost

Reporting

90,039.5

$40

$3,601,580


This estimated cost is based on a pay rate of $40 per hour for a mid-level professional who has the training and skills to handle the various reporting requirements. This salary estimate includes benefits but no overhead costs. There should not be any additional costs of investigating BPDs and HCT/P deviations or keeping records of them, since these activities are already required under other sections in 21 CFR Parts 211, 606, 820, and 1271.


13. Estimates of Other Total Annual Cost Burden to Respondents and Record Keepers


There are no capital costs or operating and maintenance costs associated with this collection.


14. Annualized Cost to the Federal Government


The estimated annualized cost to FDA is $805,662.


Activity

No. of Reports

Hours per Report

Average Cost per Hour

Total Cost

Report Review

46,950

1/3

$52

$805,662








This estimate is based on a CBER reviewer, at an average pay rate of $52 per hour (GS 13-5), who performs a review and assessment of the report for possible regulatory action. This estimate includes the estimated additional time required to input the data into the database for statistical purposes. The salary estimate includes benefits but no overhead costs.


15. Explanation for Program Changes or Adjustments


The previous burden estimate in 2006 was 85,873 hours. The current overall increase in burden to 90,039.5 hours is mostly attributed to the increase (3,712 hours) in the number of annual responses under § 606.171 as well as the addition of § 1271.350(b); formerly under OMB control number 0910-0543) for consolidation purposes of all deviation reporting.

.


16. Plans for Tabulation and Publication and Project Time Schedule


There are no tabulated results to publish for this information collection.


17. Reason(s) Display of OMB Expiration Date is Inappropriate


FDA is not seeking approval to exempt the display of the expiration date of the OMB approval.


18. Exceptions to Certification for Paperwork Reduction Act Submissions


N/A.

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File Typeapplication/msword
File TitleOMB INFORMATION COLLECTION
Authorszeto
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File Modified2010-06-16
File Created2010-06-09

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