(a) Evaluation of suppliers, contractors, and consultants. Each manufacturer shall establish and maintain the requirements, including quality requirements, that must be met by suppliers, contractors, and consultants. Each manufacturer shall:
- Evaluate and select potential suppliers, contractors, and consultants on the basis of their ability to meet specified requirements, including quality requirements. The evaluation shall be documented.
- Define the type and extent of control to be exercised over the product, services, suppliers, contractors, and consultants, based on the evaluation results.
- Establish and maintain records of acceptable suppliers, contractors, and consultants.
(b) Purchasing data. Each manufacturer shall establish and maintain data that clearly describe or reference the specified requirements, including quality requirements, for purchased or otherwise received product and services.
Purchasing documents shall include, where possible, an agreement that the suppliers, contractors, and consultants agree to notify the manufacturer of changes in the product or service so that manufacturers may determine whether the changes may affect the quality of a finished device. Purchasing data shall be approved in accordance with 820.40.
• The organization shall establish documented procedures to ensure that purchased product conforms to specified purchase requirements.
• The type and extent of control applied to the supplier and the purchased product shall be dependent upon the effect of the purchased product on subsequent product realization or the final product.
• The organization shall evaluate and select suppliers based on their ability to supply product in accordance with the organization’s requirements. Criteria for selection, evaluation and re-evaluation shall be established. Records of the results of evaluations and any necessary actions arising from the evaluation shall be maintained (see 4.2.4).
- On-site supplier audit (full QMS & process assessment);
- On-site focused audit (targeting a specific problem or process);
- Mail-in audit (basic supplier questionnaire used to compile QMS and basic business information); and
- Telephone (desk-top) audit (Request for a copy of the ISO certificate(s); quality manual; and list of SOPs supporting the QMS).
Table 1.0 – Supplier Categorization Premised on Risk | ||
Category & Assessment |
Applicability |
Re-Audit Frequency |
Category 1: Annual On-Site Assessment Mandatory – Due to Risk |
• Contract Manufacturers, Sterilization Facility |
Annually |
Category 2: On-Site Assessment Mandatory (Premised on Schedule & Risk)
|
• Components Identified as Critical Premised on the Device FMEA • Laboratory Services Providers • Analytical Test Labs • Calibration/Metrology Provider • Notified Bodies |
Two Years |
Category 3: On-Site Assessment is optional (Premised on Risk) / Mail-In Survey Required
|
• Non-Critical Custom Material, Process, and/or Component • Offsite Record Storage • Environmental Services Provider |
Three Years |
Category 4: Mail-In Survey is optional (providing certifications are current) Current ISO 9001 or ISO 13485 Certificates; Lead Auditor Certificate; Resume, etc., are acceptable in lieu of survey.
|
• Standard Catalog Component Manufacturers • Low-Risk Components • Distributors of Catalog Components • Consultants • Facility Services, i.e., Janitorial Services, Pest Control, etc. |
When Certificates Expire |
Category 5: No Requirement for Quality System Assessments – Purchase Order Only
|
• Transportation Services (UPS, USPS, etc.) • Disposable Supplies (wipes, finger cots, etc.) |
N/A |
In closing, the doctor hopes you have found some value in this week’s guidance. Cheers from Dr. D. and best wishes for continued professional success.
References:
- Code of Federal Regulation. (2012, April). Title 21 Part 820: Quality system regulation. Washington, D.C.: U. S. Government Printing Office.
- Devine. C. (2009, July). Exploring the effectiveness of defensive-receiving inspection for medical device manufacturers: a mixed method study. Published doctoral dissertation. Northcentral University. Prescott Valley, AZ.
- Devine, C. (2011). Devine guidance for complying with the FDA’s quality system regulation – 21 CFR, Part 820. Charleston, SC: Amazon.
- Devine, C. (2011). White paper – effective supplier management in support of the medical device industry. Copyright 2011 and available upon request from Dr. C. J. Devine.
- ISO 13485:2003. (2004, February). Medical devices – quality management systems – requirements for regulatory purposes (ISO 13485:2003).