To establish procedures for the handling, investigation, and disposition of returned goods from customers or distributors to ensure compliance, product safety, and customer satisfaction.
This SOP applies to all returned goods received by the Otic manufacturing unit, including but not limited to defective products, damaged goods, expired products, or any other returns due to quality issues.
Quality Assurance (QA) Department: Responsible for overseeing the returned goods process, investigation, and documentation.
Quality Control (QC) Department: Responsible for conducting investigations into quality-related returns and providing analytical support.
Production Department: Responsible for coordinating with QA and QC departments for investigation and disposition.
Sales and Distribution: Responsible for initiating the return process and providing necessary documentation.
4.1 Receipt of Returned Goods
4.1.1 Notification
4.1.1.1 Sales or Distribution notifies QA and QC departments upon receipt of returned goods.
4.1.1.2 QA verifies the authenticity of the returned goods and initiates the return process in the documentation system.
4.1.2 Initial Assessment
4.1.2.1 QC inspects returned goods for visible damage or discrepancies.
4.1.2.2 QA records initial observations and assigns a unique identification number to each returned item.
4.2 Investigation and Evaluation
4.2.1 Root Cause Analysis
4.2.1.1 QA initiates a formal investigation into the reason for the return.
4.2.1.2 QC conducts analytical tests, if required, to determine the root cause of quality-related returns.
4.2.2 Documentation
4.2.2.1 Document investigation findings, including photographs, test results, and analysis.
4.2.2.2 QA reviews investigation reports and recommends corrective and preventive actions (CAPAs) if necessary.
4.3 Disposition of Returned Goods
4.3.1 Decision Making
4.3.1.1 QA, in consultation with QC and Production, determines the disposition of returned goods (e.g., reprocessing, destruction, return to stock, or disposal).
4.3.1.2 Obtain necessary approvals from authorized personnel before proceeding with disposition activities.
4.3.2 Documentation and Record Keeping
4.3.2.1 Maintain detailed records of all decisions and actions taken regarding returned goods.
4.3.2.2 Archive records in accordance with document retention policies.
4.4 Communication
4.4.1 Customer Notification
4.4.1.1 QA communicates disposition decisions to the customer or distributor.
4.4.1.2 Provide necessary documentation, such as a return receipt or credit note, as applicable.
SOP: Standard Operating Procedure
QA: Quality Assurance
QC: Quality Control
CAPA: Corrective and Preventive Actions
Returned goods log
Investigation reports
Disposition records
GMP guidelines for pharmaceutical manufacturing
Regulatory requirements for product returns and complaints
Version 1.0
]]>To establish procedures for the handling, investigation, and disposition of returned goods from customers or distributors to ensure compliance, product safety, and customer satisfaction.
This SOP applies to all returned goods received by the Otic manufacturing unit, including but not limited to defective products, damaged goods, expired products, or any other returns due to quality issues.
Quality Assurance (QA) Department: Responsible for overseeing the returned goods process, investigation, and documentation.
Quality Control (QC) Department: Responsible for conducting investigations into quality-related returns and providing analytical support.
Production Department: Responsible for coordinating with QA and QC departments for investigation and disposition.
Sales and Distribution: Responsible for initiating the return process and providing necessary documentation.
4.1 Receipt of Returned Goods
4.1.1 Notification
4.1.1.1 Sales or Distribution notifies QA and QC departments upon receipt of returned goods.
4.1.1.2 QA verifies the authenticity of the returned goods and initiates the return process in the documentation system.
4.1.2 Initial Assessment
4.1.2.1 QC inspects returned goods for visible damage or discrepancies.
4.1.2.2 QA records initial observations and assigns a unique identification number to each returned item.
4.2 Investigation and Evaluation
4.2.1 Root Cause Analysis
4.2.1.1 QA initiates a formal investigation into the reason for the return.
4.2.1.2 QC conducts analytical tests, if required, to determine the root cause of quality-related returns.
4.2.2 Documentation
4.2.2.1 Document investigation findings, including photographs, test results, and analysis.
4.2.2.2 QA reviews investigation reports and recommends corrective and preventive actions (CAPAs) if necessary.
4.3 Disposition of Returned Goods
4.3.1 Decision Making
4.3.1.1 QA, in consultation with QC and Production, determines the disposition of returned goods (e.g., reprocessing, destruction, return to stock, or disposal).
4.3.1.2 Obtain necessary approvals from authorized personnel before proceeding with disposition activities.
4.3.2 Documentation and Record Keeping
4.3.2.1 Maintain detailed records of all decisions and actions taken regarding returned goods.
4.3.2.2 Archive records in accordance with document retention policies.
4.4 Communication
4.4.1 Customer Notification
4.4.1.1 QA communicates disposition decisions to the customer or distributor.
4.4.1.2 Provide necessary documentation, such as a return receipt or credit note, as applicable.
SOP: Standard Operating Procedure
QA: Quality Assurance
QC: Quality Control
CAPA: Corrective and Preventive Actions
Returned goods log
Investigation reports
Disposition records
GMP guidelines for pharmaceutical manufacturing
Regulatory requirements for product returns and complaints
Version 1.0
]]>To establish procedures for the validation of processes and analytical methods used in the manufacturing of Otic (Ear) Dosage Forms to ensure reliability, accuracy, and consistency of results.
This SOP applies to all processes and analytical methods used in the Otic manufacturing unit, including but not limited to formulation, manufacturing, packaging, and quality control.
Quality Assurance (QA) Department: Responsible for overall validation activities and documentation.
Quality Control (QC) Department: Responsible for validating analytical methods and reviewing validation protocols.
Production Department: Responsible for validating manufacturing processes and ensuring compliance.
R&D Department: Responsible for providing input and support during method development and validation.
4.1 Process Validation
4.1.1 Protocol Preparation
4.1.1.1 Develop a validation protocol outlining objectives, scope, acceptance criteria, and methodology.
4.1.1.2 Obtain approval from QA and relevant departments before initiating validation studies.
4.1.2 Process Qualification
4.1.2.1 Conduct Installation Qualification (IQ), Operational Qualification (OQ), and Performance Qualification (PQ) as per protocol.
4.1.2.2 Document results and deviations encountered during qualification activities.
4.2 Method Validation
4.2.1 Method Development
4.2.1.1 Develop analytical methods based on product specifications and regulatory requirements.
4.2.1.2 Validate methods for accuracy, precision, specificity, linearity, and robustness.
4.2.2 Validation Protocol
4.2.2.1 Prepare a validation protocol detailing method validation parameters and acceptance criteria.
4.2.2.2 Obtain approval from QA and QC departments before initiating validation studies.
4.3 Validation Execution
4.3.1 Process Validation
4.3.1.1 Execute IQ, OQ, and PQ activities under controlled conditions.
4.3.1.2 Monitor critical process parameters and document deviations and corrective actions.
4.3.2 Method Validation
4.3.2.1 Perform method validation experiments using suitable test samples and standards.
4.3.2.2 Record data, analyze results, and verify compliance with predefined acceptance criteria.
4.4 Validation Report
4.4.1 Compilation of Results
4.4.1.1 Compile validation data, including protocols, results, and conclusions.
4.4.1.2 Review and approve validation reports by QA and relevant departments.
4.4.2 Documentation
4.4.2.1 Maintain all validation records, including protocols, raw data, and final reports.
4.4.2.2 Archive documents as per document retention policies.
SOP: Standard Operating Procedure
IQ: Installation Qualification
OQ: Operational Qualification
PQ: Performance Qualification
Validation protocols
Validation reports
Method validation data and records
GMP guidelines for pharmaceutical manufacturing
ICH guidelines for method validation
Version 1.0
]]>To establish a framework for conducting self-inspections and internal audits within the Otic manufacturing unit to ensure compliance with Good Manufacturing Practices (GMP) and internal quality standards.
This SOP applies to all departments and personnel involved in the Otic manufacturing unit responsible for conducting and participating in self-inspections and internal audits.
Quality Assurance (QA) Department: Responsible for planning, coordinating, and conducting internal audits.
Department Heads: Responsible for ensuring departmental compliance and participation in audits.
Management: Responsible for reviewing audit findings and implementing corrective actions.
All Personnel: Responsible for cooperating with auditors and addressing audit findings in their respective areas.
4.1 Self-Inspection Planning
4.1.1 Annual Schedule
4.1.1.1 Develop an annual self-inspection schedule based on risk assessment and regulatory requirements.
4.1.1.2 Obtain approval for the self-inspection schedule from management.
4.1.2 Inspection Plan
4.1.2.1 Define objectives, scope, and criteria for self-inspections.
4.1.2.2 Prepare checklists and inspection protocols for each area to be inspected.
4.2 Conducting Self-Inspections
4.2.1 Notification
4.2.1.1 Notify relevant departments and personnel about scheduled self-inspections.
4.2.1.2 Coordinate with department heads to facilitate access and cooperation during inspections.
4.2.2 Inspection Execution
4.2.2.1 Follow established checklists and protocols to conduct inspections.
4.2.2.2 Document observations, findings, and areas of non-compliance.
4.3 Internal Audit Planning
4.3.1 Audit Schedule
4.3.1.1 Develop an annual audit schedule covering all critical areas and processes.
4.3.1.2 Ensure audits are conducted at planned intervals and in accordance with GMP requirements.
4.3.2 Audit Preparation
4.3.2.1 Define audit objectives, scope, and criteria based on risk assessment.
4.3.2.2 Select audit team members and assign audit responsibilities.
4.4 Conducting Internal Audits
4.4.1 Opening Meeting
4.4.1.1 Conduct an opening meeting to introduce the audit team, explain audit objectives, and review the audit plan.
4.4.1.2 Obtain necessary documents and records for review.
4.4.2 Audit Execution
4.4.2.1 Perform audits using checklists, interviewing personnel, and reviewing documents.
4.4.2.2 Record audit findings, observations, and opportunities for improvement.
4.5 Reporting and Follow-Up
4.5.1 Draft Audit Report
4.5.1.1 Prepare a comprehensive audit report summarizing findings, observations, and corrective actions.
4.5.1.2 Include recommendations for improvement and assign responsibility for corrective actions.
4.5.2 Management Review
4.5.2.1 Review audit reports with management and relevant stakeholders.
4.5.2.2 Obtain approval for corrective actions and timelines for implementation.
SOP: Standard Operating Procedure
GMP: Good Manufacturing Practice
Self-inspection checklists
Audit reports and findings
Corrective action records
GMP guidelines for pharmaceutical manufacturing
Version 1.0
]]>To establish criteria and procedures for the qualification, selection, evaluation, and ongoing management of vendors supplying materials and services to the Otic manufacturing unit, ensuring compliance with quality standards and regulatory requirements.
This SOP applies to all personnel involved in vendor selection, qualification, evaluation, and management within the Otic manufacturing unit.
Procurement Department: Responsible for initiating and overseeing the vendor qualification process.
Quality Assurance (QA) Department: Responsible for ensuring vendors meet quality and regulatory requirements.
Quality Control (QC) Department: Responsible for sampling and testing materials received from vendors.
Regulatory Affairs Department: Responsible for maintaining documentation related to vendor qualification and audits.
4.1 Vendor Selection
4.1.1 Identification of Vendor Needs
4.1.1.1 Initiate vendor selection process based on procurement requirements.
4.1.1.2 Define criteria for vendor selection based on product or service specifications.
4.1.2 Vendor Evaluation
4.1.2.1 Assess potential vendors based on capability, quality systems, and regulatory compliance.
4.1.2.2 Conduct initial screening and shortlist qualified vendors for further evaluation.
4.2 Vendor Qualification
4.2.1 Documentation Review
4.2.1.1 Obtain and review vendor documentation, including quality agreements and certifications.
4.2.1.2 Verify compliance with GMP requirements and specific standards relevant to Otic dosage forms.
4.2.2 On-Site Audit
4.2.2.1 Conduct on-site audits of critical vendors to assess facilities, processes, and quality systems.
4.2.2.2 Evaluate audit findings and determine vendor qualification status.
4.3 Vendor Performance Monitoring
4.3.1 Performance Metrics
4.3.1.1 Define key performance indicators (KPIs) for vendor performance evaluation.
4.3.1.2 Monitor vendor performance against agreed-upon KPIs and quality standards.
4.3.2 Continuous Improvement
4.3.2.1 Implement corrective actions and preventive measures based on vendor performance issues.
4.3.2.2 Conduct periodic reviews and reassessments of vendor qualification status.
4.4 Vendor Change Control
4.4.1 Change Notification
4.4.1.1 Notify relevant departments of changes in vendor status, products, or services.
4.4.1.2 Evaluate impact on quality and regulatory compliance before implementing changes.
4.4.2 Requalification
4.4.2.1 Requalify vendors periodically or in response to significant changes.
4.4.2.2 Update vendor qualification documentation accordingly.
SOP: Standard Operating Procedure
GMP: Good Manufacturing Practice
KPI: Key Performance Indicator
Vendor qualification checklist
Quality agreements
Audit reports
Performance evaluation records
GMP guidelines for vendor qualification and management in pharmaceutical manufacturing
Version 1.0
]]>To establish procedures for initiating, managing, and completing product recalls of Otic (Ear) Dosage Forms to protect public health and comply with regulatory requirements.
This SOP applies to all personnel involved in identifying, assessing, initiating, and executing product recalls within the Otic manufacturing unit.
Quality Assurance (QA) Department: Responsible for overseeing and coordinating product recall activities.
Quality Control (QC) Department: Responsible for assessing the need for recall based on quality issues.
Production Department: Responsible for providing necessary production records and batch information.
Regulatory Affairs Department: Responsible for notifying regulatory authorities as per applicable regulations.
4.1 Recall Initiation
4.1.1 Identification of Recall
4.1.1.1 QA receives information about potential quality issues or safety concerns.
4.1.1.2 Assess the need for recall based on risk assessment and severity of issue.
4.1.2 Recall Decision
4.1.2.1 QA collaborates with QC and Regulatory Affairs to determine recall classification (voluntary or mandatory).
4.1.2.2 Notify senior management and obtain approval for recall initiation.
4.2 Recall Strategy and Execution
4.2.1 Recall Strategy Development
4.2.1.1 Develop a detailed recall plan outlining objectives, scope, and communication strategy.
4.2.1.2 Define roles and responsibilities of recall team members.
4.2.2 Communication Plan
4.2.2.1 Notify affected customers, distributors, and regulatory authorities promptly.
4.2.2.2 Provide clear instructions for return, replacement, or refund of recalled products.
4.3 Recall Implementation
4.3.1 Product Retrieval
4.3.1.1 Coordinate with logistics and distribution teams to retrieve recalled products.
4.3.1.2 Ensure segregation and secure storage of recalled products.
4.3.2 Investigation and Root Cause Analysis
4.3.2.1 QC conducts thorough investigation to determine root cause of the issue.
4.3.2.2 Document findings and implement corrective actions to prevent recurrence.
4.4 Completion and Closure
4.4.1 Effectiveness Check
4.4.1.1 Evaluate effectiveness of recall actions and completeness of product retrieval.
4.4.1.2 Close recall process after confirming all required actions are completed.
4.4.2 Documentation and Reporting
4.4.2.1 Maintain detailed records of recall activities, including communication logs and investigation reports.
4.4.2.2 Prepare and submit final recall report to regulatory authorities as required.
SOP: Standard Operating Procedure
QA: Quality Assurance
QC: Quality Control
Recall plan
Communication templates
Investigation reports
Final recall report
GMP guidelines for product recalls in pharmaceutical manufacturing
Version 1.0
]]>To establish procedures for receiving, documenting, evaluating, investigating, and resolving complaints related to Otic (Ear) Dosage Forms to ensure customer satisfaction and compliance with regulatory requirements.
This SOP applies to all personnel involved in the receipt, assessment, investigation, and resolution of complaints within the Otic manufacturing unit.
Quality Assurance (QA) Department: Responsible for overseeing the complaint handling process.
Customer Service Department: Responsible for initial receipt and documentation of complaints.
Quality Control (QC) Department: Responsible for investigation and resolution of complaints.
Production Department: Responsible for providing necessary information and support during complaint investigations.
4.1 Complaint Receipt and Documentation
4.1.1 Receipt of Complaint
4.1.1.1 Customer Service receives complaints via designated channels (phone, email, website, etc.).
4.1.1.2 Document complaint details including product name, lot number, nature of complaint, and contact information.
4.1.2 Initial Assessment
4.1.2.1 QA verifies completeness and accuracy of complaint information.
4.1.2.2 Assign unique complaint identification number and classify severity.
4.2 Complaint Evaluation and Investigation
4.2.1 Investigation Plan
4.2.1.1 QA develops investigation plan based on complaint details and severity.
4.2.1.2 Define investigation team and timeline for completion.
4.2.2 Root Cause Analysis
4.2.2.1 QC conducts thorough investigation to determine root cause of the complaint.
4.2.2.2 Document findings, including corrective and preventive actions (CAPAs).
4.3 Corrective and Preventive Actions (CAPAs)
4.3.1 CAPA Development
4.3.1.1 QA reviews investigation findings and recommends appropriate CAPAs.
4.3.1.2 Implement corrective actions to address immediate issues and preventive actions to prevent recurrence.
4.3.2 CAPA Effectiveness
4.3.2.1 Monitor and verify effectiveness of implemented CAPAs.
4.3.2.2 Update complaint file with CAPA status and closure details.
4.4 Customer Communication
4.4.1 Response to Customer
4.4.1.1 QA drafts response to customer detailing investigation findings and actions taken.
4.4.1.2 Provide timeline for resolution and offer compensation or replacement if applicable.
4.4.2 Follow-Up
4.4.2.1 Customer Service follows up with customer to ensure satisfaction with resolution.
4.4.2.2 Document customer feedback and update complaint record accordingly.
SOP: Standard Operating Procedure
QA: Quality Assurance
QC: Quality Control
CAPA: Corrective and Preventive Actions
Complaint log and tracking system
Investigation reports
CAPA documentation
GMP guidelines for complaint handling in pharmaceutical manufacturing
Version 1.0
]]>To establish procedures for training personnel involved in the manufacturing of Otic (Ear) Dosage Forms to ensure competency, compliance, and adherence to Good Manufacturing Practices (GMP).
This SOP applies to all personnel engaged in manufacturing, quality control, quality assurance, and related functions within the Otic manufacturing unit.
Human Resources Department: Responsible for coordinating and documenting training activities.
Department Heads: Responsible for identifying training needs and ensuring participation of their respective teams.
Trainers: Responsible for conducting training sessions and assessing trainee competency.
4.1 Training Needs Assessment
4.1.1 Identify Training Needs
4.1.1.1 HR collaborates with department heads to identify job-specific training requirements.
4.1.1.2 Assess competency gaps and regulatory requirements for each role.
4.1.2 Training Plan Development
4.1.2.1 Develop an annual training plan based on identified needs and departmental goals.
4.1.2.2 Include mandatory GMP training and role-specific competencies.
4.2 Training Program Implementation
4.2.1 Training Session Organization
4.2.1.1 Schedule training sessions based on the training plan.
4.2.1.2 Notify participants and ensure availability of training materials and resources.
4.2.2 Conducting Training
4.2.2.1 Trainers deliver content using approved training materials and methods.
4.2.2.2 Facilitate interactive sessions and practical demonstrations as applicable.
4.3 Training Evaluation
4.3.1 Assessing Trainee Competency
4.3.1.1 Conduct evaluations to measure trainee understanding and application of training content.
4.3.1.2 Document assessment results and provide feedback to trainees.
4.3.2 Effectiveness Review
4.3.2.1 Evaluate training effectiveness based on feedback and post-training performance.
4.3.2.2 Identify opportunities for improvement in training delivery and content.
4.4 Training Record Keeping
4.4.1 Documentation
4.4.1.1 Maintain accurate records of training sessions attended and completed by personnel.
4.4.1.2 Document training outcomes, assessments, and any corrective actions taken.
4.4.2 Retraining and Refresher Courses
4.4.2.1 Schedule periodic retraining sessions to reinforce GMP principles and updates.
4.4.2.2 Offer refresher courses as needed to maintain competency and compliance.
SOP: Standard Operating Procedure
GMP: Good Manufacturing Practices
HR: Human Resources
Annual training plan
Training session schedules
Training evaluation forms
GMP guidelines for personnel training in pharmaceutical manufacturing
Version 1.0
]]>To establish procedures for conducting stability studies and monitoring of Otic (Ear) Dosage Forms to ensure product quality and shelf-life determination.
This SOP applies to all stability studies conducted on raw materials, intermediates, and finished Otic (Ear) Dosage Forms products within the manufacturing unit.
Quality Control (QC) Department: Responsible for designing, conducting, and analyzing stability studies.
Quality Assurance (QA) Department: Responsible for oversight and review of stability study protocols and results.
Production Department: Responsible for providing samples and facilitating stability testing as per schedule.
4.1 Stability Study Design
4.1.1 Protocol Development
4.1.1.1 QC develops stability study protocols based on regulatory requirements and product characteristics.
4.1.1.2 Define study parameters including storage conditions, testing frequency, and duration.
4.1.2 Sample Collection
4.1.2.1 Collect representative samples of each batch for stability testing.
4.1.2.2 Ensure samples are properly labeled and stored under controlled conditions.
4.2 Stability Testing
4.2.1 Testing Schedule
4.2.1.1 Perform stability testing at predefined time points (e.g., 0, 3, 6, 12 months).
4.2.1.2 Use validated analytical methods to assess physical, chemical, and microbiological attributes.
4.2.2 Storage Conditions
4.2.2.1 Monitor and maintain stability chambers or conditions as per defined protocols.
4.2.2.2 Record environmental conditions (e.g., temperature, humidity) during storage.
4.3 Stability Data Analysis
4.3.1 Data Review
4.3.1.1 QC reviews stability testing data for compliance with acceptance criteria.
4.3.1.2 Evaluate trends and deviations from initial specifications.
4.3.2 Trend Analysis
4.3.2.1 Analyze stability data to determine shelf-life and storage recommendations.
4.3.2.2 Prepare stability summary reports for review and approval by QA.
4.4 Stability Report and Recommendations
4.4.1 Report Preparation
4.4.1.1 Compile stability study results and observations into a final report.
4.4.1.2 Include recommendations for product storage conditions and shelf-life determination.
4.4.2 QA Review and Approval
4.4.2.1 QA reviews stability reports for completeness and accuracy.
4.4.2.2 Approve stability study outcomes and recommendations.
SOP: Standard Operating Procedure
QC: Quality Control
QA: Quality Assurance
Stability study protocols
Stability testing records
Final stability report template
GMP guidelines for stability studies in pharmaceutical manufacturing
Version 1.0
]]>To establish procedures for conducting quality control testing and releasing raw materials, intermediates, and finished Otic (Ear) Dosage Forms products to ensure compliance with specifications and regulatory requirements.
This SOP applies to all quality control testing activities, including raw materials, in-process samples, intermediates, and finished products within the Otic manufacturing unit.
Quality Control (QC) Department: Responsible for performing testing, analyzing results, and making release decisions.
Quality Assurance (QA) Department: Responsible for oversight, review, and approval of quality control activities and release decisions.
Production Department: Responsible for providing samples and facilitating testing as per the production schedule.
4.1 Sampling and Testing
4.1.1 Raw Materials
4.1.1.1 QC samples incoming raw materials according to sampling plan.
4.1.1.2 Conduct testing for identity, purity, and other specified parameters.
4.1.2 In-process Samples
4.1.2.1 Collect samples during critical stages of manufacturing (e.g., blending, granulation).
4.1.2.2 Test samples for compliance with in-process specifications.
4.1.3 Finished Products
4.1.3.1 Sample finished products as per sampling plan.
4.1.3.2 Perform comprehensive testing covering identity, strength, purity, uniformity, and other relevant parameters.
4.2 Analytical Testing
4.2.1 Test Methods
4.2.1.1 Use validated analytical methods for all testing activities.
4.2.1.2 Ensure equipment used is calibrated and maintained as per SOP.
4.2.2 Data Review
4.2.2.1 QC reviews test results for accuracy and compliance with acceptance criteria.
4.2.2.2 Document all results and observations in the appropriate records.
4.3 Quality Control Release Decision
4.3.1 Review and Approval
4.3.1.1 QA reviews all test data and documentation for completeness.
4.3.1.2 Approve or reject materials or products based on test results and compliance assessment.
4.3.2 Release Authorization
4.3.2.1 QA authorizes the release of materials or products that meet specifications.
4.3.2.2 Generate release documentation (e.g., Certificate of Analysis) and attach to batch records.
4.4 Retesting and Non-Conformance
4.4.1 Retesting
4.4.1.1 Conduct additional testing if initial results are inconclusive or out-of-specification.
4.4.1.2 Document reasons for retesting and results obtained.
4.4.2 Non-Conformance Handling
4.4.2.1 Initiate investigation for any non-conforming results.
4.4.2.2 Implement corrective and preventive actions as necessary.
SOP: Standard Operating Procedure
QC: Quality Control
QA: Quality Assurance
Certificate of Analysis template
Testing protocols and specifications
Non-conformance report form
GMP guidelines for quality control testing and release in pharmaceutical manufacturing
Version 1.0
]]>