Lec 5- Aspectics Flashcards

1
Q

Outcome

A
  • The farwell report (UK 1995)
  • Aseptic dispensing for NHS patients
  • Identified need to ensure standards of practice are in place in pharmacy aseptic units
  • Regular audits
  • We learnt from mistakes and the Manchester incident (1994) which resulted in the death of more than one child produced a new respect for aseptic dispensing
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2
Q

Aseptic vs sterile

A
  • Sterile
    • Sterile is defined in the BP
    • As a substance capable of passing the BP sterility test- takes 12 hours
    • This does not mean it is appropriate for use in a dispensed IV item
    • May be able to give oral but not IV
  • Aseptic
    • Aseptic is defined in the BP also
    • Here it is defined as the process of maintaining sterility
    • Aseptic manufacture is the process required to keep appropriate formulations sterile
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3
Q

Do you have time?

A
  • 12 hours to perform the sterile BP test
  • IV medication may be required to be administered before the test can be carried out
  • You don’t have time, so you conduct and aseptic procedure, which you hope produces a sterile products
  • By working ‘aseptically’ you minimise the risk of sterile starting products becoming infected during combination
  • The Manchester case highlighted several problems when working Aseptically most notably the regulatory framework surrounding pharmacists consisted if only the medicines act
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4
Q

Additional regulation since 1994

A
  • Aseptic dispensing for NHS patients
  • EL96(95) and EL97(52)
  • MCA (now MRHA) visits unlicensed units
  • EU regulation
  • Human medicines regulations 2012- revision of 1968 medicines act
    • Need to no sections 9-11- recent to pharmacists
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5
Q

But

A
  • Pharmacist have not had the section 10 restriction removed
  • What makes a pharmacist different to everybody else running around the pharmacy is that when needed you know these exemptions
    • Pharmacist have large legal powers, Use them.
    • BUT make sure your always within the law
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6
Q

The human medicines regulation 2012

A
  • MRHA issues two licenses to make medicinal products
    • Manufactures (Full products) license
      • Normally to the large multi-nationals
      • To make specific named forms/strengths of a drug- 250mg/mL paracetamol elixir
    • Manufactures special license
      • Lists product types e.g. injectables, tablets
      • When we need strange doses etc
      • DOES NOT allow licensed product manufacture
      • Hospital pharmacy units
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7
Q

[Manufactures special license

A
  • The specials license
  • The most common license for hospitals to hold
  • You can advertise your service
  • Have longer shelf life (with valid data)
  • Manufacture in batches (keep for stock)
  • No need for prescription
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8
Q

Manufactures license

A
  • The full license
  • Specials manufactures can’t compete with you. They MUST buy from you
  • Very specific product form and strength you are allowed to use
  • Much higher regulation of quality assurance and limits
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9
Q

Make sure you know

A
  • When to use the term “this is sterile” and when to use “this was produced aseptically”
  • When part 10 can be used to manufacture a product without a license
    • Have to be a registered pharmacist, in registered premises
    • Has to be for a named patient (i.e. on prescription)
  • When a manufactures special license can be used and when you must let a product licence holder make the item
  • Manufacturer license = PL
  • Specials = MS
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10
Q

So what is GMP (Good Manufacturing Practice) for aseptics

A
  • If you are not able to prove product quality you must assure the process, in the hope the product can never be made wrong
  • We have already seen
    • Designed environments to work in
    • Worksheets to perform tasks
    • Trained staff
  • These are all very broad categories covering GMP
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11
Q

Aseptic suite documentation

A
  1. Standard operating procedures (SOP)
  2. Product specifications
  3. Dispensing and preparation records
  4. Site record
  5. Site master file (SMF)- required for Licensed manufacturing sites
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12
Q

SOP rules

A
  1. Designed and prepared (author) and date
  2. Approved by and date
  3. Orderly and easy to check
  4. Reproduction of master must be error free
  5. Typed
  6. Traceable- Need the SOP number
  7. Prevents use of superseded document
  8. Regular review- e.g. 1 year and state who will review it
  9. Pearsons capable or (trained) for operation
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13
Q

Best practice

A
  • An easy read (layout)
  • Totally unambiguous
  • Plain language
  • Don’t miss the obvious
  • Builds on existing practice
  • One activity only
  • High-level endorsement
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14
Q

Product specification

A
  • Replacements are not allowed by the SOP- if a specific brand it must be used
  • Product specifications do at least allow a supplier to vary the item (in a limited way)
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15
Q

Dispensing and preparation record (work order)

A
  1. Name and formula
  2. Batch number
  3. Expiry date
  4. Date of preparation
  5. Copy of label- ensure accuracy, written trail if an error
  6. Batch and supplier name for medicinal products- incase of recalls
  7. Written protocol- e.g. say dont combine calcium and phosphate= precipitate
  8. Reconciliation procedure for labels
  9. Signature of initials of technical staff
  10. Pharmacist supervising signature
  11. Signature for final check
  12. Patient name
  13. Comment section
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16
Q

Site records

A
  • Consists of a batch record book. Which is now normally computerised
    • Batch number (number manufactured, batch size, date prepared)
    • Product code
    • Product name, strength and quantity
    • Container
    • Label reference (ward- patient name + consultant; prepared and checked by)
    • Expiry date
  • Note how this is almost the same as the dispensing record
  • If you have a manufacturing license or manufacturing specials license you require a site master file
17
Q

Site master file

General summary

A