Who is responsible for the final approval of an SOP in the Document Management System (DMS)? And is this person accountable for the content of the SOP?
The Quality Systems team is responsible for the final approval of the SOP in the DMS. However, they are not responsible for the content of the SOP — this is evaluated and ensured by the QA Responsible of the originating department.
What must be the status of the Effectiveness Check (EC) record before completing the CAPA or Change Request (CR) and forwarding it to QA?
The EC record must be populated and in the status “Work in Progress” before completing the CAPA or CR and sending it to QA.
What is the target timeframe for initiating a deviation after an event is detected?
The target timeframe for initiating a deviation is within one business day after the detection of the event.
What is the purpose of a GAP assessment, and which SOPs remain valid during the implementation of new or revised GROUP and CORP documents?
The purpose of a GAP assessment is to ensure that local procedures reflect the content of global procedures by reviewing, assessing, and aligning site SOPs with GROUP and CORP documents. During the implementation period of new or updated global procedures, the current versions of local SOPs remain valid and must be followed.
How is the SOP Review Board (SRB) process initiated, and who is responsible for organizing it?
To initiate the process, the change initiator must complete the SOP Review Board Form and submit it to the Quality Systems (QS) department. The QS department then reviews the form, schedules the SRB meeting at regular intervals if needed, and ensures all relevant stakeholders are invited.
What is the general rule for setting the date of the Effectiveness Check (EC) for CAPAs and Change Requests (CRs)? And what must be done if the due date is shorter than recommended?
For CAPAs, the EC date should generally be set approximately six months after the implementation date. This may vary depending on the nature of the CAPA (e.g., campaign- or product-specific timing).
For CRs, the EC must specify a timeframe of at least 30 days after implementation.
If the EC due date is shorter than the recommended timeframe, a justification must be provided.
What Risk Category must be selected in TrackWise for all Post Release Deviations?
For all Post Release Deviations, the Risk Category field in the Assessment tab in TrackWise must always be set to 'High', regardless of the obtained score.
What key actions should be considered when implementing new or revised GROUP and CORP documents?
When implementing new or revised documents, the following actions should be considered:
Under which conditions is an SOP Review Board (SRB) meeting not required?
An SRB meeting is not required if:
What are the key responsibilities of QA when reviewing an Effectiveness Check (EC) before closing a CAPA or Change Request?
QA must review the correctness and appropriateness of the EC content, ensure the time frame is suitable, and confirm that a justification is provided if the time frame is shorter than recommended. Additionally, QA must check that the EC is in the status “Work in Progress” before the CAPA or Change Request is closed.
What is the purpose of a Recurrence Analysis in deviation management, how is it structured, and what is the minimum lookback period required?
A Recurrence Analysis is a systematic evaluation to determine whether a deviation or similar events have occurred multiple times within a specified timeframe. The minimum lookback period for this analysis is 36 months.
This analysis is performed at two distinct stages:
Preliminary Recurrence Analysis:
Formal Recurrence Analysis:
What are the execution differences between GAP assessments received under GROUP-130365 and CORP-30, and what do they have in common?
Common requirement: In both cases, SMEs must classify and document the GAP Severity as Minor, Moderate (Major), or Critical
What checks does the Quality Systems team perform as the final approver of an SOP?
The Quality Systems team verifies:
General:
Content:
Version History:
Properties:
Workflow & Approval:
When and how must the need for an Effectiveness Check (EC) be assessed for a change?
The need for an Effectiveness Check must be evaluated for all changes, regardless of category, and documented in a mandatory change assessment task. This task is opened by the Change Manager during the initiation phase of the change.
Which types of stand-alone investigations are expected to be completed within 30 calendar days of initiation, unless justified otherwise and documented?
The following stand-alone investigations, although not classified as deviations, are expected to be completed within 30 calendar days of initiation:
Only one extension is permitted. A second extension may be granted only as an exception, and must be justified by external factors such as delayed customer feedback or external testing.
What are the timeline requirements for completing GAP assessments under CORP-30 and GROUP-130365?
For CORP-30 SOPs:
• Regulatory Findings / Critical Customer Feedback: 6 weeks from the opening date of the Track Wise investigation
• Continuous Improvement: 3 months from the opening date of the Track Wise investigation
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For GROUP-130365 SOPs:
• GAP assessment must be completed during the pending release period, defined by Global QMS
• Same timeframes apply:
Regulatory Findings / Critical Customer Feedback: 6 weeks
Continuous Improvement: 3 months
Which key aspects of the proposed change must be discussed during the SOP Review Board (SRB)?
The SRB must discuss:
• Review of Proposed Document Changes
• Input from Subject Matter Experts (SMEs) and Impacted Departments
• Assessment of Training Requirements
• Verification of Uniqueness and Scope Alignment
• Decision on Formal Approval Workflow
• Confirmation or Definition of Effective Date
If an Effectiveness Check (EC) is required for a Change Request (CR), what key requirements must be assessed and documented in the change assessment task? And when can the EC be opened?
What are the documentation requirements and timeline that must be evaluated during the Deviation Review Board (DRB) for regulatory and batch impact?
What are the GAP Severity Classifications, and what do they indicate about implementation timelines?
• Minor: Minor local procedural changes or adjustments are required. No significant changes to site processes. Implementation must occur within the GAP assessment period
• Moderate / Major: Major changes required locally that will take 3 to 6 months to implement. May involve some updates to multiple site processes.
• Critical: Significant changes required, that will take 6 months or longer to implement. Major updates to site processes, infrastructure, or systems.