Microbial Limits Tests: The Difference Between “Absence of
Objectionable Microorganisms” and “Absence of Specified
Microorganisms”
Scott Sutton,
Ph.D.
Vectech
Pharmaceutical Consultants
This article first appeared in the
PMF Newsletter
of June, 2006 and is protected by copyright to PMF. It
appears here with permission.
We have to note from the outset that USP and FDA frequently
are interested in the same thing. From the vantage point of USP,
there is a need to have a test for sterility, for antimicrobial
efficacy, for Antibiotic/ Vitamin Potency, for Bacterial
Endotoxin, for Microbial Limits etc. The need for these tests is
not driven by any concern over “Good Manufacturing Process” (GMP).
It is governed by the USP monographs found in the National
Formulary (NF). If there is a monograph that requires a test for
antimicrobial efficacy, then chapter <51> Antimicrobial
Effectiveness Test” is the referee test used to demonstrate that
characteristic.
FDA has similar, but separate concerns. Where the
requirements are identical, the referee chapters in USP (those
numbered under <1000>) are enforced. However, there are
situations where the FDA’s concerns are not covered by a USP
referee test method. One such situation is with the CFR
requirement that medicines be “free of objectionable
microorganisms.” 21CFR 211.113 under the section “Control of
microbiological contamination. (a)” states “Appropriate written
procedures, designed to prevent objectionable microorganisms on
drug products not required to be sterile, shall be established
and followed.” This is reinforced by 21 CFR 211.165 which states
“Testing and release for distribution... (b) There shall be
appropriate laboratory testing, as necessary, of each batch of
drug product required to be free of objectionable
microorganisms.”
So, here we have a problem. The USP monograph for a product
(as provided in the current National Formulary) may require
“Absence of Pseudomonas aeruginosa.” There is a test in the
Microbial Limits chapter to demonstrate the absence of
Pseudomonas aeruginosa. However, although this test may be
required to demonstrate compliance with the monograph requires
as laid out in NF it does not meet the FDA concern that any
organism in the final product be acceptable to the product and
the target population (i.e. are not “objectionable”).
The FDA Concern
FDA will enforce the GMP requirement that if your product
approval to market submission contained a statement that you
would test the finished product by the Microbial Limits Tests
that in fact you must do that. This is purely a GMP concern.
However, the Agency has been absolutely clear on the concern
over objectionable microorganisms in the product, and that fact
that testing to the USP chapter might be necessary, but it is
not sufficient to demonstrate microbial quality. In fact, in the
1993 instructional guide for inspections of QC Microbiology Labs
(1) the FDA states:
“For a variety of reasons, we have seen a number of
problems associated with the microbiological contamination
of topical drug products, nasal solutions and inhalation
products. The USP Microbiological Attributes Chapter <1111>
provides little specific guidance other than "The
significance of microorganisms in nonsterile pharmaceutical
products should be evaluated in terms of the use of the
product, the nature of the product, and the potential hazard
to the user." The USP recommends that certain categories be
routinely tested for total counts and specified indicator
microbial contaminants. For example natural plant, animal
and some mineral products for Salmonella, oral liquids for
E. Coli [sic], topicals for P. aeruginosa and S. Aureus
[sic], and articles intended for rectal, urethral, or
vaginal administration for yeasts and molds. A number of
specific monographs also include definitive microbial
limits.
As a general guide for acceptable levels and types of
microbiological contamination in products, Dr. Dunnigan of
the Bureau of Medicine of the FDA commented on the health
hazard. In 1970, he said that topical preparations
contaminated with gram negative organisms are a probable
moderate to serious health hazard. Through the literature
and through our investigations, it has been shown that a
variety of infections have been traced to the gram negative
contamination of topical products. The classical example
being the Pseudomonas cepacia contamination of Povidone
Iodine products reported by a hospital in Massachusetts
several years ago.
Therefore, each company is expected to develop microbial
specifications for their nonsterile products. Likewise, the
USP Microbial Limits Chapter <61> provides methodology for
selected indicator organisms, but not all objectionable
organisms. For example, it is widely recognized that
Pseudomonas cepacia is objectionable if found in a topical
product or nasal solution in high numbers; yet, there are no
test methods provided in the USP that will enable the
identification of the presence of this microorganism.
A relevant example of this problem is the recall of
Metaproterenol Sulfate Inhalation Solution. The USP XXII
monograph requires no microbial testing for this product.
The agency classified this as a Class I recall because the
product was contaminated with Pseudomonas gladioli/cepacia.
The health hazard evaluation commented that the risk of
pulmonary infection is especially serious and potentially
life-threatening to patients with chronic obstructive airway
disease, cystic fibrosis, and immuno- compromised patients.
Additionally, these organisms would not have been identified
by testing procedures delineated in the general Microbial
Limits section of the Compendia. . . .
Microbiological testing may include an identification of
colonies found during the Total Aerobic Plate Count test.
Again, the identification should not merely be limited to
the USP indicator organisms.
The importance of identifying all isolates from either or
both Total Plate Count testing and enrichment testing will
depend upon the product and its intended use. Obviously, if
an oral solid dosage form such as a tablet is tested, it may
be acceptable to identify isolates when testing shows high
levels. However, for other products such as topicals,
inhalants or nasal solutions where there is a major concern
for microbiological contamination, isolates from plate
counts, as well as enrichment testing, should be
identified.”
Why is this a concern? To understand this we have to go back
to the 1970’s. USP had a test for the “Bacteriological
Examination of Gelatin” as early as 1942 (2). However, most
non-sterile medications in the US were not required to assay for
microbiological quality attributes until the introduction of the
Microbial Limits Tests in 1970 (3). In the late 1960’s several
outbreaks of disease were traced back to pathogencontaminated
medications, and this prompted increased attention to the
microbial content of non-sterile drugs (4). Later in the 1980’s
there was a series of articles appearing in the literature
describing contamination by P. cepacia (currently Burkholderia
cepacia) (5, 6) and its survival in disinfectants(7 – 11). This
lead to the addition of requirements in the 21 CFR to ensure
that there are not objectionable organisms in product released
to market (see above). Add to this the knowledge that the USP
“Absence of Pseudomonas aeruginosa” assay will not identify
presence of B. cepacia (as discussed).
The USP Concern
The USP is on record as early as 1982 verifying that the
demonstration of “absence of objectionable microorganisms” is
not the intent of the chapter. In a one page Stimuli to the
Revision Process the microbiology committee of the time states:
“The tests described in the Microbial Limits Tests <61>
were not designed to be all-inclusive, i.e., to detect all
potential pathogens. To accomplish this, an extensive text
on laboratory detection of microorganisms would be required.
The procedures in USP were designed to detect the presence
of specific “index” or “indicator” organisms. Nevertheless,
the present chapter does not preclude the detection of
Ps. Cepacia – the organism requires subsequent
differentiation. The chapter does not provide specific
methods for this, nor does it provide procedures for
detecting thousands of other potentially pathogenic
organisms. Individual monographs include requirements for
limits on total aerobic counts and/or absence of one or more
of the four selected “indicator” organisms. The chapter on
Microbial Limits Tests provides methods to assure that one
may test for those microbial requirements in the individual
monographs...
In conclusion, the Microbial Attributes and Microbial
Limit Tests chapters accomplish their intent. If a
manufacturer needs particular tests for any specific
organisms that are potential problems in a process or a
final product, the quality control microbiologist can
provide specific detection procedures. Many such procedures
are published in several laboratory texts on microbiology.”
Conclusions
On the question of the microbial quality of non-sterile
pharmaceuticals, the USP and the FDA are in agreement – the
product must be safe for use. The NF monograph requirements for
absence of specific organisms is a minimal requirement, and
should not be taken as proof that the product is suitable for
sale from a microbiological perspective.
The manufacturer is responsible for the quality and safety of
the product marketed, and it is the clear expectation of FDA (as
described in CFR) that this will include a determination of the
microbial safety – i.e. the “absence of objectionable
microorganisms” from the product. These positions have been
publicly stated for decades and should not come as a surprise to
anyone. The harmonized microbial limits tests only address the
“absence of specified microorganisms” and leave the
determination of the “absence of objectionable microorganisms”
in the capable hands of each company’s appropriately educated
and well-trained microbiology group.
References
-
http://www.fda.gov/ora/inspect_ref/igs/micro.html
- USP. 1942. Bacteriological Examination of Gelatin.
USP XII pp. 556-559
- USP. 1970. Microbial Limit Tests. USP XVIII p.
846
- Price, J. 1984. Establishing Microbiological
Specifications for Pharmaceuticals Not Required to Be
Sterile. Pharm Mfg Apr:26-29
- Kuhn, RJ et al. 1982. Bacterial Contamination of
Aerosol Solutions Used To Treat Cystic Fibrosis. Amer J
Hosp Pharm. 39:308-309
- Carson, LA et al 1973. Morphological, Biochemical
and Growth Characteristics of Pseudomonas cepacia
from Distilled Water. Appl Microbiol. 25(3):476-483
- Geftic, SG et al. 1979. Fourteen-Year Survival of
Pseudomonas cepacia In a Salts Solution Preserved
with Benzalkonium Chloride. Appl Environ Microbiol.
37(3):505-510
- Anderson, RL et al. 1990. Prolonged Survival of a
Strain of Pseudomonas cepacia In a Commercially
Manufactured Povidone-Iodine. Appl Environ Microbiol.
56:3598
- Hugo, WB et al. 1986. Factors Contributing to the
Survival of a Strain of Pseudomonas cepacia In
Chlorhexidine Solutions. Lett Appl Microbiol. 2:37-42
- Borovian, G.E. 1983. Pseudomonas cepacia: Growth
In and Adaptability to Increased Preservative
Concentrations. J Soc Cosmet Chem. 34:197-203
- Richards, R.M.E. et al. 1979. Pseudomonas cepacia
Resistance to Antibacterials. J Pharm Sci. 68:1436-
1438
Consulting with Scott Sutton
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