Good Laboratory Practice Compliance Program (GLP CP)

Study Reporting

1. Under what circumstances can a GLP study be reopened after the final report has been finalised?

The OECD Principles of Good Laboratory Practice (GLP) provide provisions for errors in the final report to be corrected and admissions to be addressed by issuing a study report amendment. However, it would not be appropriate to use a study report amendment to facilitate the reanalysis of data or add new data to a final report except under exceptional circumstances.

Exceptional circumstances will include requests from receiving authorities to reopen a GLP study. Such requests are usually made so that data can be reanalysed. For example, studies may be reopened to reassess statistical analyses or to review histology findings.

Monitoring authorities will usually not allow a study to be reopened if the test facility or study sponsor wants to reanalyse or add data. However, most monitoring authorities will assess each request to reopen a study on a case-by-case basis.

If a GLP study is reopened, any changes to the original text or the addition of new text must be presented in the form of a report amendment. All the original data must be retained in the final report and the reason for reopening the study should be documented in the amendment. If additional work is performed that was not required in the original study plan, it should be covered by a study plan amendment.

As detailed in Section 9, Part 9.1 (5) of The OECD Principles of GLP, reformatting of the final report to comply with the submission requirements of a national registration or regulatory authority does not constitute a correction, addition or amendment to the final report (posted on 21 January 2016).

2. Following the early termination of a GLP study is there a requirement to produce a final report?

The early termination of a study may occur prior to, or after, the completion of the experimental phase of the study, but before the data has been assessed or incorporated in a final report. In both situations, a study plan amendment must be produced in order to provide an explanation of why the study was terminated. Some compliance monitoring authorities may expect that the key findings up to the point of termination are summarised and that the summary report is subject to a Quality Assurance (QA) audit (posted on 21 January 2016).

Method Validation

1. Should method validation be completed prior to the initiation of a GLP study?

There is no requirement to finalise the validation of all methods that will be used to conduct a GLP study before the initiation of the study. However, there is an expectation that methods are fully validated before the results of the study are considered to be valid (posted on 21 January 2016). 

2. What standard should be applied to the validation of methods which are used in GLP studies and how should it be applied?

Unless stipulated in national regulations, there is no requirement to perform method validation in compliance with GLP. Since parameters of the validated method are used in the GLP study (for example threshold, linearity, accuracy, precision, stabilities, equipment settings, etc.), data should be accurately recorded and stored in a manner that protects its integrity. Validation data may be required for study reconstruction and, consequently, it should be retained for an appropriate period of time.

Quality Assurance

(See also OECD Consensus Document No.4: Quality Assurance and GLP

1. What should appear on a quality assurance statement?

2.  Who should sign the QA statement?

3. Is an audit of QA activities required?

4. When is it appropriate to look at the contents of a QA report ?

 Quality Assurance Statements

 1. What should appear on a quality assurance statement?

The quality assurance statement should clearly identify the study and include all the types of inspections that are relevant to the study (including inspections performed as part of a study phase(s)). Associated information should include the dates the inspections were performed and the dates inspection results were reported to management, the study director and if applicable the principal investigator. Some monitoring authorities will require the quality assurance statement to include confirmation that facility audits have been performed.

The statement should confirm that the final report reflects the raw data and some monitoring authorities will require this fact to be clearly stated in the statement.

Verification of the study plan by QA personnel should be documented (see OECD Principles on Good Laboratory Practice, Doc. No. 1). This would also apply to study plan amendments. The GLP Principles do not formally require that these verifications are included in the quality assurance statement but this is often the case (posted on 15 July 2014).

 2. Who should sign the QA statement?

The OECD Principles on GLP (Section II, Par. 2.2.1.f) require QA personnel to sign the statement. The Principles do not restrict this responsibility to specific QA employees such as, for example, the manager of a QA department. However, the procedures for compiling the statement and the responsibility for signing the statement should be described in QA procedures (posted on 15 July 2014).

Audit of the QA department

3. Is an audit of QA activities required?

As is the case for all operative procedures covered by the GLP Principles, the QA programme of inspections and audits should be subject to management verification. What constitutes verification will differ from one monitoring authority to another. In some cases verification will include a requirement for the independent inspection of QA activities. In all cases both QA staff and management should be able to justify the methods used for the conduct of the audit programme (posted on 15 July 2014).

Access to QA reports

4. When is it appropriate to look at the contents of a QA report?

 National GLP monitoring authorities may request information relating to the types of QA inspections conducted and the dates they were performed and reported to management. They may also request the names of the QA auditors who performed specific activities so that their training records can be reviewed. However, QA inspection findings will not normally be examined by inspectors as this is likely to have a negative impact on the way in which some QA personnel report findings. Nevertheless, some national monitoring authorities may occasionally require access to the contents of inspection reports in order to verify the adequate functioning of QA or to verify that management has received and acted upon reports from QA concerning problems that are likely to seriously affect the quality or integrity of the facility or a study.

Under no circumstances should QA reports be inspected as an easy way to identify inadequacies within the facility or problems associated with a specific study.

Compliance monitoring authority inspectors will need to verify the effectiveness of QA activities as part of the inspection of QA. In order to do this it is highly likely that they will routinely review QA procedures and other supporting records (with the exception of the inspection report). These documents will be used to verify key requirements including the independence of QA from study specific activities, that critical study phases are monitored in accordance with the facility's policies and that the frequency of audits is sufficient etc. (posted on 15 July 2014).