| Literature DB >> 29848046 |
Andrea Keyter1,2, Joey Gouws2, Sam Salek1, Stuart Walker1,3.
Abstract
BACKGROUND: The aims of this study were to assess the regulatory review process in South Africa from 2015 to 2017, identify the key milestones and timelines; evaluate the effectiveness of measures to ensure consistency, transparency, timeliness, and predictability in the review process; and to provide recommendations for enhanced regulatory practices.Entities:
Keywords: Medicine Control Council (MCC); South Africa Health Products Regulatory Authority (SAHPRA); best practices; good review practices; regulatory review
Mesh:
Year: 2018 PMID: 29848046 PMCID: PMC6047299 DOI: 10.1177/2168479018776649
Source DB: PubMed Journal: Ther Innov Regul Sci ISSN: 2168-4790 Impact factor: 1.778
Figure 1.Regulatory review process map for South Africa. Days reflected are calendar days. NAS, new active substance.
Target Timelines for MCC Review Procedures.
| Process | Target |
|---|---|
| Validation | 15 calendar days |
| Scientific assessment | 90 calendar days |
| Sponsor response time (quality data) | 180 calendar days |
| Sponsor response time (safety and efficacy data) | 180 calendar days |
| Expert committee(s) | 60 calendar days |
| Authorization procedure | 60 calendar days |
| Notification of decision | 7 calendar days |
| Overall review time (fast track) | NASs: 250 calendar days |
| Overall review time | NASs: No target |
Abbreviations: MCC, Medicines Control Council; NASs, new active substances.
Figure 2.Number of approved new active substances from local and international companies (2015-2017).
Figure 3.Median approval timelines for new active substances for local and international companies (2015-2017).
Figure 4.Median approval time for new active substances compared with biologicals, major line extensions, and fast track products (2015-2017).
Status of Implementation of Good Review Practices by the MCC.
| Indicator | Status | Comments | |
|---|---|---|---|
| Quality measures | |||
| Internal quality policy | ✓ | Planned to formally implement | |
| Good review practice system | ✓ | Planned to formally implement | |
| Standard operating procedures for guidance of assessors | ✓ | Planned to formally implement | |
| Assessment templates | ✓ | Planned to formalize the use of a single, common template | |
| Dedicated quality department | ✗ | Establishment of a dedicated quality department is planned | |
| Scientific committee | ✓ | ||
| Shared and joint reviews | ✓ | ||
| Transparency and communication parameters | |||
| Feedback to industry on submitted dossiers | ✓ | ||
| Details of technical staff to contact | ✓ | Contact details are made available on an ad hoc basis | |
| Presubmission scientific advice to industry | ✓ | Meetings are held with industry on an ad hoc basis | |
| Official guidelines to assist industry | ✓ | ||
| Industry can track progress of applications | ✗ | Implementation of electronic document management system is planned | |
| Publicly available Summary Basis of Approval (SBA) | ✗ | Summary is available but is currently not published | |
| Approval times | ✓ | Approval times are not made available to the public | |
| Advisory committee meeting dates | ✓ | ||
| Approval of products | ✓ | ||
| Continuous improvement initiatives | |||
| External quality audits | ✓ | External quality audits are not performed routinely | |
| Internal quality audits | ✗ | Planned | |
| Internal tracking systems | ✓ | Implementation of electronic document management system is planned | |
| Review of assessors’ feedback | ✓ | ||
| Reviews of stakeholders’ feedback | ✓ | Planned to be formally and routinely reviewed | |
| Training and education | |||
| International workshops/conferences | ✓ | ||
| External courses | ✓ | ||
| In-house courses | ✓ | Training program to be formalized | |
| On-the-job training | ✓ | Training program to be formalized | |
| External speakers invited to the authority | ✓ | ||
| Induction training | ✓ | Training program to be formalized | |
| Sponsorship of postgraduate degrees | ✓ | ||
| Placements and secondments in other regulatory authorities | ✓ | ||
▪ Formally implemented
▪ Informally implemented
▪ Not implemented