03 July 2019

Algeria updates Pharmacovigilance reporting requirements

ATTENTION !! UPDATE 09-Jan-2020:
This post is no longer current as the CNPM has published a new Pharmacovigilance Guide with revised ICSR reporting requirements (see New Post). The content of this post includes the resulting revisions (in Red & Highlighted in Yellow).


The Algerian Authorities have published an important revision of the Note describing the Pharmacovigilance reporting requirements in the country.

Until now, the "Centre National de Pharmacovigilance et de Materiovigilance" (CNPM) required that all Serious ICSRs and Clinical Trial SUSARs be submitted, including foreign reports. This meant that thousands of ICSRs qualified for reporting to the CNPM in Algeria, even though it is doubtful that the CNPM had sufficient resources to process such large volumes of information.

The Note published by the CNPM and dated 03-Jun-2019 will come as a relief to international companies placing medicinal products on the market in Algeria: The expedited reporting of foreign ICSRs is no longer a requirement and those cases are now only expected to be presented through the applicable periodic reports.



As a summary in English, here are the newly applicable requirements in Algeria:

- Post-Marketing ADRs, including cases originating from Non-Interventional Studies, must be submitted to the CNPM as follows:

  • Domestic Fatal/Life-Threatening ADRs: as soon as possible, within 7 Calendar Days
  • Other Domestic Serious ADRs: within 15 Calendar Days
  • Domestic Non-Serious ADRs: within 90 Calendar Days
  • All Foreign ADRs: through the PBRERs/PSURs

The Note also now clearly states that the submission of PBRERs/PSURs can be aligned with the EURD List.


- Clinical Trials SUSARs must be submitted to the CNPM and Ethics Committees as follows:

  • Domestic Fatal/Life-Threatening SUSARs: initial report within 7 Calendar Days
  • Other Domestic SUSARs: within 15 Calendar Days
  • All Foreign SUSARs: through 6-monthly Line Listings and Annual DSURs

As described in a recent article in the "Drug Safety" journal, the Algerian CNPM has not adopted the GVP Guideline for Arab countries published in 2014. With a 7-Day reporting requirement for Fatal/Life-Threatening ADRs, these new Requirements still deviate from the Arab GVPs and the underlying ICH E2D Guideline. Nevertheless, this revision represents a significant move towards international harmonization and will make compliance easier to achieve for the Industry in Algeria.

The Note issued by the CNPM is only available in French and is unfortunately not available on the website of the Agency. We obtained a copy from the CNPM, which we make available here, together with the previous version as a reference.









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Thierry Hamard is a Pharmacist with more than 15 years of Global Pharmacovigilance Auditing experience and over 200 PV Audits performed since his company PV Focus was established in 2004.


Thierry is also Chief Editor of Safety Observer, a provider of Regulatory Intelligence services for Pharmacovigilance since 2005.

4 comments:

  1. Hello,
    Thank you very much for sharing.

    I agree that it is unfortunate that the CNPM is not aligned with arab GVP and that the release of theses notes still represents great steps towards harmonization of guidelines.

    I would like to add that the CNPM has just released a new note requiring the submission of the Risk Management Plan (PMR).

    ReplyDelete
    Replies
    1. Hello,

      May I kindly ask where can I find the new note released by CNPM about Risk Management Plan submission?

      Many thanks in advance.

      Delete
    2. As mentioned in the header of this post, a complete guide was published in January 2020, which includes a section on RMP. I believe this is the most up-to-date guidance on this subject. The header includes a link to the corresponding post.

      Delete
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