CG1303-approved

Manage PLC Programs and Meet FDA Requirements

March 4, 2013
PLC or DCS Programs Are Not Submitted to the FDA, but They Do Require Validation to Ensure Proper Functionality
About the Author
Katherine Bonfante is senior digital editor for Control and ControlDesign. You can email her at [email protected] or check out her Google+ profile.In 2002 we received the following "Ask the Experts" question from one of our readers and since posting it on our site, along with our experts' answers, there has been a lot of interest from our online community.

Our reader asked:
The technicians and operators in our brewery sometimes change the PLC programs to accommodate maintenance and production requirements. We're concerned that the FDA would take issue with this practice. What should we do to be sure our PLC program management would be accepted by FDA inspectors?

Daren Moffatt, Pharmaceutical Industry Business Manager said that PLC and DCS control system configurations are a topic with many different opinions in the industry with regard to 21 CFR Part 11 compliance. Fifty percent of the companies Moffatt spok with with believed the control configuration is an electronic record and requires the same level of revision control and change tracking as an electronic batch production record. The other 50% agreed that modifications to the control configuration require change control, but did not believe the configuration falls under 21 CFR Part 11 jurisdiction.

"Certainly the PLC or DCS programs are not submitted to the FDA, but they do require validation to ensure proper functionality," said Moffatt.

Michael Burgin also chimmed in and said that there are multiple issues to consider when PLCs are included in the mix of process control strategy and design. Burgin estated that the key element in maintaining the PLC and also maintaining the design baseline is a SOP to determine what constitutes a minor and a major change. Burgin went on and listed 5 steps describing what the process should be like.

Moreover, Gimmi Filice said that the situation described by our reader in his question, was a direct violation of 21 CFR Part 11 although probably not sufficient to warrant a warning by the FDA.

If you want to read these experts' answers in full details and what our other experts had to say, visit our original artile "How Should We Manage PLC Programs to Meet FDA Requirements?" to learn more.

Sponsored Recommendations

2024 Industry Trends | Oil & Gas

We sit down with our Industry Marketing Manager, Mark Thomas to find out what is trending in Oil & Gas in 2024. Not only that, but we discuss how Endress+Hau...

Level Measurement in Water and Waste Water Lift Stations

Condensation, build up, obstructions and silt can cause difficulties in making reliable level measurements in lift station wet wells. New trends in low cost radar units solve ...

Temperature Transmitters | The Perfect Fit for Your Measuring Point

Our video introduces you to the three most important selection criteria to help you choose the right temperature transmitter for your application. We also ta...

2024 Industry Trends | Gas & LNG

We sit down with our Industry Marketing Manager, Cesar Martinez, to find out what is trending in Gas & LNG in 2024. Not only that, but we discuss how Endress...