Combination products challenge packaging

Manufacturers must consider regulatory matters, materials, machinery, and sterilization methods when packaging these cutting-edge drug-device, drug-biologic, and/or device-biologic products.

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The use of combination products to improve patient outcomes appears to be on the verge of unprecedented growth in the healthcare arena. With their life-saving potential, it’s understandable that combination products have become a sizzling-hot topic at recent healthcare packaging-related trade shows.

At www.fda.gov/oc/combination/definition.html, the U.S. Food and Drug Administration provides the following four combination product descriptions, as defined in 21 CFR§3.2(e):

1. A product comprising two or more regulated components, i.e., drug/device, biologic/device, drug/biologic, or drug/device/biologic, that are physically, chemically, or otherwise combined or mixed and produced as a single entity.

2. Two or more separate products packaged together in a single package or as a unit and comprising drug and device products, device and biological products, or biological and drug products.

3. A drug, device, or biological product packaged separately that according to its investigational plan or proposed labeling is intended for use only with an approved individually specified drug, device, or biological product where both are required to achieve the intended use, dosage form, strength, route of administration, or significant change in dose.

4. Any investigational drug, device, or biological product packaged separately that according to its proposed labeling is for use only with another individually specified investigational drug, device, or biological product where both are required to achieve the intended use, indication, or effect.

COMBINATION PRODUCTS PACK POTENTIAL

Technological advances in drugs, medical devices, and biologic-based products continue to lead to the development of products aimed at improving patient outcomes and extending human life. Marrying two or more of these healthcare products into a combination product, such as a drug-eluting stent, demonstrates such patient benefits. In this article, several industry authorities share their insights regarding the impact combination products may have on packaging.

Office of Combination Products

The FDA established the Office of Combination Products (OCP) in late 2002, as required by the Medical Device User Fee and Modernization Act (MDUFMA) of 2002. The MDUFMA Act, says the FDA, gives the OCP “broad responsibilities covering the regulatory lifecycle of combination products. However, the primary regulatory responsibilities for, and oversight of, specific combination products will remain in one of three product centers—the Center for Drug Evaluation and Research (CDER), the Center for Biologics Evaluation and Research (CBER), or the Center for Devices and Radiological Health (CDRH)—to which they are assigned.”

Combination product manufacturers can learn which of these three “lead centers” its product best fits by contacting the FDA and informally determining which center represents the best route, based on the primary mode of action (PMOA) of the product. The more formal process is to complete a Request for Designation (RFD). For details on how to write a request for designation, visit www.fda.gov/oc/combination/howtowrite.html.

New packaging requirements

Hal Miller, industry consultant and president of PACE Solutions LLC, offers the following advice: “Regardless of which FDA Center (CDRH or CDER) has the lead responsibility, the medical device packager must comply with a whole new set of packaging requirements and testing.

“Is the container and closure system suitable for use with the drug?” he asks. “This addresses moisture gain or loss in the package, evaluating extractables and leachables from and to the package, providing full chemical composition of the materials via Drug Master Files (DMF), and a completely different set of product stability requirements. All these requirements may be found in CBER Guidance for Container Closure Systems for Packaging Human Drugs and Biologics, CDER Guidance for Stability Testing of Drug Substances and Drug Products, and USP 661,” a characterization test on plastics.

Miller notes, “Additional drug product packaging requirements involve batch-to-batch uniformity of materials to ensure product safety and efficacy. Typically, stability testing on three different batches of packaging materials is performed.”

Demystifying biologics

It’s easy to understand that a hip replacement product is a medical device, or that insulin is a drug, but what exactly is a biologic? “There are a lot of different types of biologics,” says Mark Kramer, director of the FDA’s OCP. A visit to CBER’s online resource, www.fda.gov/

cber/faq.html, breaks them down into several categories, including allergenics, blood, devices, gene therapy, human tissues and cellular products, vaccines, and xenotransplantation products (those that use live animal cells, tissues, or organs to treat human diseases).

“In contrast to most drugs that are chemically synthesized and their structure is known, most biologics are complex mixtures that are not easily identified or characterized,” explains copy on the CBER site. “Biological products tend to be heat-sensitive and susceptible to microbial contamination. Therefore, it is necessary to use aseptic principles from initial manufacturing steps, which is also in contrast to most conventional drugs.

“Biologic products often represent the cutting-edge of biomedical research and, in time, may offer the most effective means to treat a variety of medical illnesses and conditions that currently have no other treatments available,” according to the Web site.

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