by
krickos » Tue Sep 28, 2010 6:16 pm
well a intresting topic that I could dwell upon for a long time, but will try to keep it short.
This is like the "other way around" of getting a new related substance method (like a new pharmacopiea method) for your drug substance, ie you have to document and state that the method is suiteble for detecting the impurities typically present in your drug substance.
In this case you are aware of the impurity profile of source A (API manufacturers are required to keep an impurity profile) so you should not have a issue to obtain the impurity profile from source B. Based on this information and what methods that are in use (company specific or pharmacopieas) you should be able to make some estimate on what is needed to do.
Also check with your QA/regulatory department. When switching drug substance source it is not uncommon that regolatory authorities requires batch data comparison on 2-3 batches from each source or sometimes even a comparison on impurity profiling.
As for synthectic different routes, that asessment should be left to organic chemists and actual data evaluation, cause:
1. Two seeminly different routes, one using destillation an other extractions for clean up and different solvents for crystallisation may show the same total impurity content but different amounts on individual impurities.
not to forget, different last crystallization, drying procedure and potential milling may change properties such as particle size distrubution if that is important for you product.
2. Two seemingly identical routes may show complete different impurity profiles depending on source and quality of structure adding raw materials.