Legal Regulation of the Manufacturing Practice for Advanced Therapy Medicinal Products in the Context of Changes in the Current Legislation of Ukraine

Bohdan Andriichuk, Zinaida Samchuk-Kolodiazhna
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However, the effectiveness of implementing the provisions of this Ukrainian guideline directly depends on the level of consistency of the domestic standards of ATMP manufacturing practice with the standards of the European Union. That is why analysis is necessary to be carried out to define the current state of the Ukrainian system of legal regulation in the field of manufacturing practice of ATMP. Analysis of recent researches and publications. The general characteristics of legal regulation of public relations, which are formed in the manufacturing practice of medicinal products, became the subject of consideration by such researchers as O. G. Alekseev, O. Ya. Andriichuk, S.V. Vasiliev, V. M. Pashkova and others. However, in modern legal literature, issues related to the manufacturing practice of ATMP for human use were not raised. The target of the research is to analyse of Ukrainian and EU legislation regulating the manufacturing practice of ATMP. A rticle’s main body. The regulation of ATMP production within the framework of the European legislative process was directly related to all four categories of the latter, which was finally defined and fixed by the adoption of Regulation 1394/2007/EC of the European Parliament and of the Council, which entered into force on December 30, 2008. Since that time, active work had begun on the introduction of a new category of biological medicinal products (such as ATMP) to Volume 4 of EudraLex, which ended with the implementation on January 31, 2013, of the amended Appendix 2 of Volume 4 of EudraLex, which contained, along with the general rules for implementing good manufacturing practices of medicinal products as well as special regulations related to the manufacturing of ATMP. Subsequently, in connection with the update of manufacturing practice standards and as a result of the adoption of the guidelines on Good Manufacturing Practice specific to Advanced Therapy Medicinal Products (European guideline on GMP for ATMP) in 2018, the provisions of Annex 2 Therefore 4 of EudraLex were changed and no longer applied on ATMP. Following the development of the legal definition of ATMP in Ukrainian legislation, we should note that in the guideline of the Ministry of Health of Ukraine 42-4.0:2013, in contrast to the previous editions, such a category of medicinal products as «high-technology (biotechnological) medicinal products» was used for the first time. The Ukrainian implementation of the European guideline on GMP for ATMP was carried out in 2020. The guideline of the Ministry of Health of Ukraine 42-4.0:2020 was created with a separate guideline 42-4.9:2020 as a part of it. The ATMP was used instead of «high-technology (biotechnological) medicinal products» in the guideline 42-4.9:2020. Conclusions and prospects for the development. During the development of the legal definition of ATMP in Ukrainian legislation, the term was changed from «high-tech (biotechnological) medicinal products» to «advanced therapy medicinal products». The manufacturing practice of the ATMP was first regulated by the guideline of the Ministry of Health of Ukraine 42-4.0:2013, which was based on Appendix 2 Volume 4 of EudraLex in 2013. Then, due to the adoption of the European guideline on GMP for ATMP in 2018, the next Ukrainian guideline was created in Ukraine, namely 42-4.9:2020 as part of the guideline of the Ministry of Health of Ukraine 42-4.0:2020. The guideline 42-4.9:2020 for the first time introduced combined ATMPs as a separate subgroup of ATMP, provided separate measures for the production of combined ATMPs, and also indicated an exhaustive list of all other types of ATMPs that comply with the provisions of Regulation 1394/2007/EC of the European Parliament and of the Council. Although the domestic guidelines are properly harmonized with European standards of ATMP manufacturing, there is a need to adopt auxiliary normative acts designed to implement certain provisions of the guideline of the Ministry of Health of Ukraine 42-4.0:2020.","PeriodicalId":133481,"journal":{"name":"Law and innovations","volume":"8 1","pages":"0"},"PeriodicalIF":0.0000,"publicationDate":"2022-12-19","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"","citationCount":"0","resultStr":null,"platform":"Semanticscholar","paperid":null,"PeriodicalName":"Law and innovations","FirstCategoryId":"1085","ListUrlMain":"https://doi.org/10.37772/2518-1718-2022-4(40)-4","RegionNum":0,"RegionCategory":null,"ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":null,"EPubDate":"","PubModel":"","JCR":"","JCRName":"","Score":null,"Total":0}
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Abstract

Problem setting. The approximation of Ukrainian legislation to the European Union (EU) legislative framework allows for the improvement of systems for the production of innovative medicinal products, particularly advanced therapy medicinal products (ATMP). This, in turn, requires a properly updated legislative framework that must meet EU standards. The adoption of the guideline of the Ministry of Health of Ukraine 42-4.0:2020 marked a new stage in the regulation of the production practice of ATMP in Ukraine. However, the effectiveness of implementing the provisions of this Ukrainian guideline directly depends on the level of consistency of the domestic standards of ATMP manufacturing practice with the standards of the European Union. That is why analysis is necessary to be carried out to define the current state of the Ukrainian system of legal regulation in the field of manufacturing practice of ATMP. Analysis of recent researches and publications. The general characteristics of legal regulation of public relations, which are formed in the manufacturing practice of medicinal products, became the subject of consideration by such researchers as O. G. Alekseev, O. Ya. Andriichuk, S.V. Vasiliev, V. M. Pashkova and others. However, in modern legal literature, issues related to the manufacturing practice of ATMP for human use were not raised. The target of the research is to analyse of Ukrainian and EU legislation regulating the manufacturing practice of ATMP. A rticle’s main body. The regulation of ATMP production within the framework of the European legislative process was directly related to all four categories of the latter, which was finally defined and fixed by the adoption of Regulation 1394/2007/EC of the European Parliament and of the Council, which entered into force on December 30, 2008. Since that time, active work had begun on the introduction of a new category of biological medicinal products (such as ATMP) to Volume 4 of EudraLex, which ended with the implementation on January 31, 2013, of the amended Appendix 2 of Volume 4 of EudraLex, which contained, along with the general rules for implementing good manufacturing practices of medicinal products as well as special regulations related to the manufacturing of ATMP. Subsequently, in connection with the update of manufacturing practice standards and as a result of the adoption of the guidelines on Good Manufacturing Practice specific to Advanced Therapy Medicinal Products (European guideline on GMP for ATMP) in 2018, the provisions of Annex 2 Therefore 4 of EudraLex were changed and no longer applied on ATMP. Following the development of the legal definition of ATMP in Ukrainian legislation, we should note that in the guideline of the Ministry of Health of Ukraine 42-4.0:2013, in contrast to the previous editions, such a category of medicinal products as «high-technology (biotechnological) medicinal products» was used for the first time. The Ukrainian implementation of the European guideline on GMP for ATMP was carried out in 2020. The guideline of the Ministry of Health of Ukraine 42-4.0:2020 was created with a separate guideline 42-4.9:2020 as a part of it. The ATMP was used instead of «high-technology (biotechnological) medicinal products» in the guideline 42-4.9:2020. Conclusions and prospects for the development. During the development of the legal definition of ATMP in Ukrainian legislation, the term was changed from «high-tech (biotechnological) medicinal products» to «advanced therapy medicinal products». The manufacturing practice of the ATMP was first regulated by the guideline of the Ministry of Health of Ukraine 42-4.0:2013, which was based on Appendix 2 Volume 4 of EudraLex in 2013. Then, due to the adoption of the European guideline on GMP for ATMP in 2018, the next Ukrainian guideline was created in Ukraine, namely 42-4.9:2020 as part of the guideline of the Ministry of Health of Ukraine 42-4.0:2020. The guideline 42-4.9:2020 for the first time introduced combined ATMPs as a separate subgroup of ATMP, provided separate measures for the production of combined ATMPs, and also indicated an exhaustive list of all other types of ATMPs that comply with the provisions of Regulation 1394/2007/EC of the European Parliament and of the Council. Although the domestic guidelines are properly harmonized with European standards of ATMP manufacturing, there is a need to adopt auxiliary normative acts designed to implement certain provisions of the guideline of the Ministry of Health of Ukraine 42-4.0:2020.
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在乌克兰现行立法变化的背景下,先进治疗药品生产实践的法律法规
问题设置。乌克兰立法接近欧盟(EU)立法框架,允许改进创新药品生产系统,特别是先进治疗药品(ATMP)。反过来,这需要一个适当更新的立法框架,必须符合欧盟的标准。乌克兰卫生部42-4.0:2020准则的通过标志着乌克兰对ATMP生产实践的监管进入了一个新阶段。然而,实施乌克兰指南条款的有效性直接取决于ATMP制造实践的国内标准与欧盟标准的一致性水平。这就是为什么有必要进行分析,以确定乌克兰在ATMP制造实践领域的法律法规体系的现状。分析最近的研究和出版物。在医药产品生产实践中形成的公共关系法律规制的一般特征,成为O. G. Alekseev、O. Ya等研究人员研究的主题。安德里丘克,S.V.瓦西里耶夫,v.m.帕什科娃和其他人。然而,在现代法律文献中,没有提出与人用ATMP的制造实践有关的问题。研究的目标是分析乌克兰和欧盟立法规范的生产实践的ATMP。文章的主体。在欧洲立法程序框架内对ATMP生产的监管与后者的所有四个类别直接相关,最终由欧洲议会和理事会通过的第1394/2007/EC号法规进行了定义和固定,该法规于2008年12月30日生效。从那时起,在EudraLex第4卷中引入新的生物药品类别(如ATMP)的积极工作已经开始,并于2013年1月31日实施了EudraLex第4卷修订后的附录2,其中包含了实施药品良好生产规范的一般规则以及与ATMP生产相关的特殊规定。随后,由于生产规范标准的更新以及2018年先进治疗药品GMP指南(ATMP欧洲GMP指南)的采用,EudraLex附录2因此4的规定进行了更改,不再适用于ATMP。随着乌克兰立法中ATMP法律定义的发展,我们应该注意到,在乌克兰卫生部42-4.0:2013的指导方针中,与以前的版本相比,首次使用了“高科技(生物技术)医药产品”这样的医药产品类别。乌克兰于2020年实施了欧洲ATMP GMP指南。乌克兰卫生部42-4.0:2020指导方针是在其单独的42-4.9:2020指导方针的基础上制定的。在指南42-4.9:2020中,使用ATMP代替“高科技(生物技术)药品”。结论及发展展望。在乌克兰立法中ATMP法律定义的发展过程中,该术语从“高科技(生物技术)药品”改为“先进治疗药品”。ATMP的生产实践首先由乌克兰卫生部42-4.0:2013指南进行监管,该指南基于2013年EudraLex第4卷附录2。然后,由于2018年通过了欧洲GMP ATMP指南,乌克兰制定了下一个乌克兰指南,即42-4.9:2020,作为乌克兰卫生部42-4.0:2020指南的一部分。指南42-4.9:2020首次将组合式ATMP作为ATMP的单独子组引入,为组合式ATMP的生产提供了单独的措施,并列出了符合欧洲议会和理事会第1394/2007/EC号法规规定的所有其他类型的ATMP的详尽清单。虽然国内准则与欧洲ATMP生产标准适当地协调一致,但有必要通过辅助规范性法案,以执行乌克兰卫生部42-4.0:2020准则的某些规定。
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