
Warning letters, 483s, Recalls, Import Alerts, Audit observations
USFDA 483 issued to Glenmark Pharma’s Pithampur facility (FEI: 3008565058) in India flagged critical deviations in cleaning and beta-lactam contamination control issues. Other deviations cited include lapses in handling Out-of-Specification (OOS) and Out-of-Trend (OOT) results, analytical method validations and delays in stability testing. The facility was inspected in February 2025 by USFDA investigators Tamil Arasu and Saleem A Akhtar. Following the inspection, Glenmark initiated recall of several lots of non-beta-lactam drugs due to beta-lactam contamination concerns in March 2025.
Equipment and utensils are not cleaned effectively to prevent cross-contamination. Incidents of carryover residue levels in cleaned equipment exceeding specification limits was observed indicating that the cleaning methods in use are not effective in removing residues consistently.
The investigators observed several critical deficiencies in the handling of non-penicillin beta-lactam drugs at the facility along with other non-beta-lactam drugs in shared spaces and equipment.
As per FDA, contamination of non-beta-lactam drugs with beta-lactam drugs presents great risk to patient safety, and no safe level of penicillin contamination has been determined to be a tolerable risk. (Centrient Warning letter – December 2022).
FDA cGMP requirements (FDA guidance: Non-Penicillin Beta-Lactam Drugs: A CGMP Framework for Preventing Cross-Contamination) recommend that the section of facility manufacturing beta-lactam products be dedicated, isolated and completely and comprehensive separated from other non-beta-lactam manufacturing areas. Analytical method for the analysis of beta-lactam contamination in environment and in non-beta-lactam drug products should achieve limit of detection (LOD) of 0.2 ppb In line with the FDA’s published analytical method.
Investigation of Out-of-Specification (OOS) and Out-of-Trend (OOT) results in dissolution tests were not thorough, batches were released despite unresolved discrepancies and root causes are not sufficiently supported.
Also in several instances of extraneous peaks recorded during dissolution, assay, content uniformity and impurity tests, root cause are either not identified or adequately supported.
All test methods used for drug products and APIs are not adequately validated or verified. For analytical test methods for specific optical rotation, and identification tests by IR (Infrared), UV (Ultraviolet), and TLC (Thin Layer Chromatography) appropriate parameters like specificity or precision are not verified.
The Glenmark 483 observations underscore the importance of adhering to fundamental cGMP practices in Pharma manufacturing: adequate cleaning and cleaning verification of equipment, a comprehensive contamination control strategy with dedicated facilities for beta-lactam drugs, thorough investigation and impact assessment of OOS/OOT incidents to establish root causes and prompt mitigation actions, timely testing of stability samples, and proper validation or verification of all test methods.
References
Leave a Comment
You must be logged in to post a comment.