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 The Qualified Person for

Pharmacovigilance in the EU
Sep 25, 2013

 Bart Cobert
Pharmacovigilance, Drug Safety and Regulatory Affairs Author & Expert

There is sometimes a bit of misunderstanding about what the Qualified Person for
Pharmacovigilance (QPPV or QP) is and does. In this post,I will attempt to clarify the
situation.

 QPPV
The Qualified Person was initially defined in Directive 2001/83/EC.
“As part of the pharmacovigilance system, the marketing authorisation holder shall have
permanently and continuously at its disposal an appropriately qualified person
responsible for pharmacovigilance in the EU (QPPV)” Article 104
It was later expanded and defined in Volume 9A which has since been further defined
by the Good PV Modules modules 1 and 2.
 

 Here, then, is a basic summary of the QP


requirements.
There must be a QP and a deputy in place when any Marketing Authorization Holder
(MAH) has approval to market a product in the EU/EEA.  In fact, it is necessary to
specify the QP in the actual submission dossier of the MA to the EMA.  Thus the QP
must be identified at the time of submission and a pharmacovigilance (PV) system must
be in place at submission even if it is not yet being used.
If a company does not yet have an MA or a submission and is just doing clinical trials
there is no requirement for a QPPV.  This is a point that is not always understood.
The QP and deputy must be permanently and continuously available and reside in the
EU/EEA (note that this does not include Switzerland).  The QP should be a senior
person reporting at a high level in the management structure of the MAH with a clear
reporting structure though this is not always the case.
The QP should have a formal written contract and there should be an SOP clearly
defining the QP’s roles, functions and responsibilities.  These responsibilities include the
oversight, structure, performance and maintenance of the PV system in the MAH.  This
includes:

 Establishing and maintaining the MAH’s PV system(s).  The word “systems” here
does not mean just “computer systems” but the entire PV/drug safety functioning
of the MAH.
 Ensuring that Quality Control (QC) and Quality Assurance (QA) mechanisms are
in place to keep the MAH in compliance.
 SOPs and Working Documents covering PV are in place, up-to-date, trained on
and actually followed.
 Metrics & KPIs on expedited and aggregate reporting and other key operational
functions are tracked.
 A quality management system (QMS) is in place which includes audits,
inspections, Corrective Action, Preventive Action plans (CAPAs) as needed and
that they are actually put in place and completed.
 Ensuring that promises made to the health authorities in regard to safety are
kept.
 Ensuring that PV training is done in the drug safety/PV department as well as
anywhere (everywhere) else in the company (or vendors, third parties etc.) where
safety matters may arise
 Ensuring that written agreements with other companies (including business
partners, vendors, other third parties) are in place regarding safety and oversee
their work.
 Have authority and sign off on Risk Management Plans (RMPs).  The QP usually
signs off on PSURs and DSURs also.
 Ensure that signal detection and trending mechanisms are in place.
 Ensuring that all suspected adverse drug reactions ADRs received by the MAH
are collected and collated and accessible at one or more points in the EU.
 Ensuring that ICSRs, PSURs and Post-Authorization Safety Studies (PASS)
cases and any other safety commitments are reported appropriately to the
competent authorities (CAs).
 Ensuring the continuing evaluation of the benefit/risk analyses of all products.
 Maintaining an overview of the safety profiles and any emerging safety issues on
company products.
 Have access to and ensure that the Pharmacovigilance System Master File
(PSMF) is in place, accurate and up to date.
 In regard to the IT systems for PV, there must be a validated database/IT
system.
 Ensuring that the appropriate persons are in place and trained to capture AEs.

The MAH (the company) in turn has responsibilities that it must fulfill:

 Set up the QP and deputy with one QPPV per PV system.


 Support the QPPV and ensure that appropriate processes, resources,
communication mechanisms and access to information are in place such that the
QPPV receives all relevant information he/she needs.
 Ensure full documentation of all QPPV procedures and activities.
 Implement mechanisms for the QPPV to be kept informed of emerging safety
and risk-benefit issues.
 Ensure that the QPPV has the authority “influence the performance of the Quality
System and the PV activities of the MAH”.  That is he/she must be empowered.
 Ensure that the QPPV has input into Risk Management Plans & the action taken
in responses to CAs on safety concerns.
 Ensure the presence of back-up procedures (e.g. personnel, AE database failure,
failure of AE database & other safety related hardware or software).
 Track the compliance of the whole PV system periodically (e.g. audits).
 Notify the QPPV early in the process when the MAH is acquiring another
company/product etc.

The person who is the QPPV must be:


 Appropriately qualified in the theoretical and practical knowledge of PV.  This is
not further defined and thus leaves a lot of leeway.
 Experienced in all areas of PV
 Must work and reside in the EU/EEA (i.e. Norway, Iceland, Lichtenstein)
 Registered with the EMA (as is the deputy)
 Available 24/7 – either the QPPV or deputy
 Be a single point of contact for PV issues
 Available for PV inspections
 Have access to a physician if the QPPV is not a physician

The QPPV may delegate tasks.  If so, this should be done in writing and an oversight
system for the out-sourced function be put in place.  The QPPV (and MAH) still
maintains responsibility for delegated tasks.
The EMA and MHRA (in a 2010 presentation by one of the Expert Inspectors) have
made clear, however, that they will look very closely at delegated or out-sourced
QPPVs.  Broadly speaking, the CAs will not look kindly on a person (e.g. in a CRO) who
functions as the QPPV for more than two or three companies at any time.  It is felt that
the job is so large, even in smaller or generic companies, that no one can handle all the
responsibilities for more than 2 or 3 companies at a time. The MAH out-sourcing the
QPPV must ensure that:

 This person is appropriately qualified and has worked in PV


 The relationship “will work in practice”
 The QPPV can implement necessary changes to the PV system
 The system will still function if the contract with the out-source company is
terminated or it goes out of business or if there are mergers or acquisitions.

Finally, some countries in the EU have established national QPs whose jurisdiction is
only in that country.  This is in addition to the EU/EEA level QPPV.  Sometimes these
national QPs are out-sourced and sometimes they are company employees.  They may
or may not directly report to the EU level QPPV.  In any case, clear SOPs and
responsibilities must be in place in written SOPs that define the system(s).  The
company/MAH must verify in each member state what local requirements are necessary
such as a QP in order to market a product.
 

 Conclusion:
The QPPV is a major responsibility that all MAH’s in the EU must fulfill and fulfill well. 
This is not a routine job but one that must be done well.  Although safety issues may
arise less in smaller or generic companies, the potential for a safety issue (or safety
crisis) always exists and it is at these times that the QP becomes an important player. 
Similarly, during government inspections the QPPV will also play a major role.  Thus the
QP should be sufficiently senior, have authority, responsibility and the appropriate
“power”.  Although not necessarily a physician, it is wise that the QP have some level of
medical training and experience.  It is an important job and should be so treated.

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