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Five frequent inspection findings and the role of the QPPV

  • Monica Buchberger

  • Susanne Becker

From system oversight to maintaining an up-to-date pharmacovigilance system master file, the QPPV's expertise is vital for patient safety.

Discover key strategies for success

Pharmacovigilance requirements in the European Union place significant oversight and maintenance obligations on the Qualified Person Responsible for Pharmacovigilance (QPPV). And as compliance expectations around processes and systems tighten, the role of the QPPV continues to evolve. 

Among their many roles, QPPVs must prepare and manage the pharmacovigilance system master file (PSMF), ensure patient safety, have an overview of all pharmacovigilance (PV) activities and processes, and be available to the competent authorities 24/7 to address any PV issues.1 However, many companies struggle to properly understand the role of the QPPV, especially when it comes to managing and mitigating inspection findings.

Explore five common inspection findings that affect the QPPV and key steps to avoiding or addressing these issues

1. System oversight: A dynamic environment

One of the complications with system oversight is that not all activities are under the control of the QPPV. If there is an update to product safety information, the QPPV’s job is fairly straightforward since this is directly under their control. 

However, a change within the summary of product characteristics (SmPC) is more complicated since this is managed by regulatory and medical affairs. The QPPV must therefore monitor whether regulatory affairs has submitted a variation. If that variation has been approved by the authority, the QPPV must then review whether the manufacturer has received the updated text in time to ensure the new package insert gets into the package in a reasonable timeframe. Ultimately, this information has to reach patients, physicians, and pharmacists, which is the responsibility of the QPPV. This is a common inspection finding, but maintaining that broader level of oversight is very difficult for the QPPV given the different stakeholders involved. 

A similar issue arises when gathering reports and side effects. Again, this is relatively straightforward with signal detection, but if the company decides to run a new patient support program in a separate system or a new social media channel, that information may not be readily available to the QPPV.  This dynamic environment raises questions about system oversight.

2. Data in/data out: Database complexity

A frequent issue we see is with the completeness and consistency of company databases. For example, when companies bring in new product portfolios or divest of products, questions can arise over data completeness and consistency. 

Regulatory authorities expect companies to fulfil quality standards with their databases and ensure information is accessible and retrievable after the migration of new product data.2 This expectation has tightened as inspectors have gained a better understanding of systems and databases, enabling them to review, investigate, and challenge how safety databases have been set up. 

While this is not specifically a QPPV finding, the QPPV is the pharmacovigilance system and process owner, so inspectors are challenging them to show how they are maintaining the system to ensure it is fit for purpose. Where companies have automated reporting systems, inspectors are looking to see that the system is doing what is expected and that there is proper oversight to ensure no submissions are overlooked. 

3. Lack of involvement in PV processes

A third finding we see is failure to have full oversight of PV processes on a global level. It is up to the QPPV to make sure the key PV processes are properly performed, measured, and controlled. The QPPV should conduct regular exchange and communication with all stakeholders, and adopt rigorous risk management of the products and ensure oversight of the system.  

Note that risk management for products may include educational material or other instruments to support safe use. The QPPV should also have oversight of implementation metrics, and monitor effectiveness of these studies. It’s important to keep in mind that tools that work in one health care system may not be suitable in others. And as these materials are implemented in complex local settings with national authorities, it can be especially challenging to maintain oversight for the complete system – requiring additional attention from the QPPV.

4. Keeping the PSMF up to date

The PSMF is very closely linked to the QPPV role and is core to the overall PV processes.3 A common finding we see is that the PSMF is outdated. New products may not have been added to the system, while old products have yet to be removed. Keeping this information up to date is a challenge for almost every company. 

While companies often do use technical solutions to manage and maintain the PSMF, there is still a need for oversight to ensure information is kept up to date, including information from non-PV functions. This requires constant management, ongoing communication, and a clear structure or standard operating procedures throughout the company. 

5. Inadequate auditing of vendors

A common issue we see is inadequate oversight and auditing of vendors that handle PV activities. This is an issue that is highlighted in the revision of the EU Implementing Regulation on the performance of pharmacovigilance activities.

While auditing has always been a requirement in the Implementing Regulation, the 2025 amendment reinforces those requirements, stating that marketing authorization holders should include in the subcontracts an arrangement for inspection and auditing of third-party processes and for those third parties to agree to inspection. 

However, audits are expensive and resource-intensive, and an annual audit of every process would overwhelm the organization. The QPPV needs to develop a strategic risk assessment and auditing strategy to determine the critical factors and focus their audits on those issues. As the quality department is typically responsible for audit planning, the QPPV will need to work alongside quality to develop a strategic risk assessment for routine audits and, where deemed appropriate, request a for-cause audit of third-party sub-contractors. 

Mitigating findings: Why a big-picture QPPV is key

As the owner of the PV system, the QPPV has accountability and personal liability in the EU. They must, therefore, have a complete overview of all PV activities, processes, and safety profiles. 

These extensive responsibilities require the QPPV to understand the big picture and to have good managerial and communications skills to engage with and educate all the relevant stakeholders. This expertise is helped by having good technical solutions, such as a contract management system that provides oversight of new programs globally that could impact pharmacovigilance oversight. The human factor and the technical tools provide the framework for effective management and are key to addressing and mitigating frequent inspection findings. 
*Sources continued below

About the authors:

Monica Buchberger is Practice Area Lead for pharmacovigilance system governance. A pharmacist by training, she has more than 25 years of experience in the pharmaceutical industry, out of which over 20 years is in European and global pharmacovigilance.

Susanne Becker is Service Line Lead, QPPV solutions. She is an experienced pharmacovigilance professional including experiences as a QPPV in the EU/EEA.


Disclaimer:
The information provided in this article does not constitute legal advice. Cencora, Inc., strongly encourages readers to review available information related to the topics discussed and to rely on their own experience and expertise in making decisions related thereto.

 


Ekibimizle iletişime geçin

Önde gelen değer uzmanlarından oluşan ekibimiz, kanıtları, politika içgörülerini ve pazar istihbaratını etkili küresel pazar erişim stratejilerine dönüştürmeye kendini adamıştır. Gelin, günümüzün karmaşık sağlık ortamında güvenle yol almanıza biz yardımcı olalım. Hedeflerinizi nasıl destekleyebileceğimizi öğrenmek için bize ulaşın.

Sources:


1. Guideline on good pharmacovigilance practices (GVP), Module I, EMA/HMA, June 2012. https://www.ema.europa.eu/en/documents/scientific-guideline/guideline-good-pharmacovigilance-practices-module-i-pharmacovigilance-systems-and-their-quality-systems_en.pdf
2. Ibid.
3. Pharmacovigilance system: questions and answers, EMA. https://www.ema.europa.eu/en/human-regulatory-overview/post-authorisation/pharmacovigilance-post-authorisation/pharmacovigilance-system-questions-answers
4. Commission Implementing Regulation (EU) 2025/1466 of 22 July 2025 amending Implementing Regulation (EU) No 520/2012 on the performance of pharmacovigilance activities provided for in Regulation (EC) No 726/2004 of the European Parliament and of the Council and Directive 2001/83/EC of the European Parliament and of the Council, Eur-Lex, 2025. https://eur-lex.europa.eu/eli/reg_impl/2025/1466/oj/eng

 

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