Navigating FDA and ICH Guidelines: Analytical Testing Validation for Tobacco Products
In a significant move for the tobacco industry, the U.S. Food and Drug Administration (FDA) recently issued its Final Guidance on the Validation and Verification of Analytical Testing Methods Used for Tobacco Products. This non-binding document offers invaluable insights into FDA’s expectations for validation and verification processes in regulatory submissions, such as Premarket Tobacco Product Applications (PMTAs), Substantial Equivalence (SE) Reports, and Modified Risk Tobacco Product Applications (MRTPAs). While the guidance is specific to tobacco, the broader principles resonate with global standards like those set by the International Council for Harmonisation (ICH) Q2(R2), which applies to pharmaceuticals and other industries.
Here, we explore FDA guidelines alongside ICH Q2(R2) to highlight the similarities and differences in their guidance on validating analytical procedures.
FDA’s Expectations for Analytical Testing in Tobacco Products
The FDA’s guidance underscores the critical importance of demonstrating that analytical testing methods are suitable and reliable for their intended purpose. It provides recommendations on validating methods for assessing tobacco product constituents, ingredients, additives, and the stability of finished products. Notably, the guidance stresses the importance of laboratory accreditation, as mandated by the ‘Final PMTA Rule’, which requires manufacturers to submit documentation showing that laboratories conducting the testing are accredited by nationally or internationally recognised organisations.
ISO 17025 accreditation is probably the current most recognised benchmark for laboratories. Currently, Broughton’s Scope of Accreditation covers a vast array of analytes across ENDS, Oral pouches and Heated Tobacco Products, ensuring that any data we submit to the FDA meets the necessary regulatory requirements.
FDA vs. ICH: Similar Foundations, Divergent Applications
There are clear parallels between FDA guidance and the ICH Q2(R2) guidelines. Both frameworks underscore the need for ensuring adequate specificity, accuracy, precision, and robustness in analytical methods. However, the scope and application differ, and these differences are where the implications become significant:
The FDA’s Final Guidance and ICH Q2(R2) guidelines both emphasise the critical role of robust analytical validation in regulatory submissions. While they differ in scope and application, their shared principles emphasize the need for reliability, accuracy, and compliance. The FDA’s additional focus on Total Error Evaluation highlights its commitment to providing manufacturers with actionable benchmarks, setting a high standard for analytical reliability.
As regulatory landscapes continue to evolve, manufacturers must stay agile in adapting their validation processes to meet diverse requirements. At Broughton, we recognise these dynamics, and with our proven track record in analytical testing and regulatory support, we partner with category innovators to navigate such complexities.
Contact us today to learn more about our services and how we can support your regulatory needs.