| Literature DB >> 25669756 |
Ruth E Stevens1, Vivian Gray, Angelica Dorantes, Lynn Gold, Loan Pham.
Abstract
The similarity factor, f2, measures the sameness of dissolution profiles. The following commentary is an overview of discussions and presentations from a group of industry and US regulatory experts that have integrated the science and regulatory research and practice for assessing product performance, particularly for modified-release (MR) dosage forms, using f2. For a drug development sponsor or applicant with an orally complex dosage formulation, it is critical to understand dissolution methods and the similarity factor and how and/or when to apply it in their NDA, ANDA, or PMA submission. As part of any regulatory submission, it is critical to justify that the product performance has not been impacted by any change in the manufacturing process and/or the delayed and/or prolonged drug release characteristics compared to a similar conventional or another orally complex dosage form. The purposes of this document are (1) to provide a description of appropriate dissolution methods, how is the f2 calculated and how it can be used to justify product performance similarity, or not; (2) to provide an overview of alternative methods available for dissolution profile comparisons, and (3) to illustrate how applying these concepts in a focused way supports approval of submissions and regulatory dossiers and aligns them with on-going science and regulatory initiatives. A case study will be used as an example to demonstrate how dissolution testing and the f2 calculation results can impact regulatory outcomes from an NDA (505(b)(1)), NDA (505(b)(2)), ANDA (505(j)), supplemental NDAs/ANDAs, or PMA perspective.Entities:
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Year: 2015 PMID: 25669756 PMCID: PMC4365094 DOI: 10.1208/s12248-015-9723-y
Source DB: PubMed Journal: AAPS J ISSN: 1550-7416 Impact factor: 4.009
FDA Guidances for f2
| Time points | Variability | Sample units | Measurements |
|---|---|---|---|
| Three to four or more | RSD NMT 20% for earlier time point (e. g. 15 min)a | Same dissolution conditions for both reference and test product | Use mean value of 12 units for each reference and test product |
| Same for both reference (prechange) and test product | RSD NMT 10% for the other time points | Reference batch should be most recently manufactured | Only one measurement after 85% of both products |
aThe example is 10 min in the Guidance for Industry, Waiver of In Vivo Bioavailability and Bioequivalence Studies for Immediate Release Solid Oral Dosage Forms Based on the a Biopharmaceutics Classification System
Fig. 1Modified-release dissolution time points
Fig. 2Example: bootstrap versus original method for f2 determination results