Not a surprise!!!! If they dig deep enough they will find that the services they provided over the years were laced with incompetence, and extreme mediocrity. I guess that MH could not lie enough and deceptively cover up all the screw ups. Oh that’s right … he did got can as everyone else did for not liying and bending the law to satisfy the HUGE ego and sick narcissism of the supreme commander. If the people only knew what happened there through the years.

Wow....sounds like the
Wow....sounds like the unethical cro down in Florida...core rx. Just a matter of time before they get caught by the FDA.
There is a company Braintree
There is a company Braintree labs as bad or worse. Tons of 483's, a recent recall, infestations, bugs in products.
IMHO you've got the right
IMHO you've got the right asnewr!
She screwed everyone during
She screwed everyone during the lay off, no vacation pay, no severance. poor thing, she had no money.....this is the best part.....she does have money to start a new company in Wilmington MA. I guess the pack pay owed for vacation was enough to start a new company
It's about time. i worked
It's about time. i worked back in the day and it was hell and all the rules were constantly being bent. How many phone books does it take to see over a HUMMER steering wheel. You to Myron I got the paper work to prove it.
Might want to check their
Might want to check their dumpster for those stability chambers.
Do you know if they have
Do you know if they have storage units for stability or retained material / product? ...may be interested in acquiring
Thanks
they closed their doors
they closed their doors yesterday, officially bankrupt
goodluck to those who had lot manufactured at Forma, or if you had material on stability.
what a joke
Formatech has traditionally
Formatech has traditionally had a strong reputation in formulation development. The world of clinical aseptic fill/finish is very competitive- a letter with such serious claims can really set an organization way back in the industry. A former colleague explained there were mold spores found in a wall adjacent to the fill suite.
While I can't comment on the working conditions, I have had less than positive feedback regarding Formatech's quality systems and procedures, which is clearly indicated in the warning letter. With a deficiency in quality, ability to keep up with current cgmp standards, and loss of customer faith, an aseptic fill provider cannot succeed.
To the person who used to
To the person who used to work there and loved it? Really?!?! Tough to imagine. If you thought it was such a great working environment, why did you leave? You are correct, though. There were some really great people there....too bad they weren't treated as well as they deserved.
Just heard they had their
Just heard they had their labcoats/gowning and their carpet repossesed! keep up the good work JB and IJ!
I have heard the same. Many
I have heard the same. Many in the industry know of her reputation, and won't go to work there. It seems like a sinking ship, anyway. I don't know how they'll recover from these FDA warning letters.
It is a sweat shop. Horrible
It is a sweat shop. Horrible working conditions
Take a good look at
Take a good look at Cellceutix, they are having their "drug" Kevetrin, formulated by these guys. Cellceutix has claimed to have noted chemist SD on their SAB, yet SD doesn't even know them.
Kevetrin is nothing more than a simple S-alkylthiourea, they claimed it was a novel selective kinase inhibitor, with only millimolar activity! Anyone knowledgeable in this field knows that a kinase inhibitor must have low nanomolar activity to be considered in this regard.
Cellceutix has been reported to the office of criminal investigation at the FDA with regards to their IND submission for this compound.
Interesting... You used to
Interesting... You used to work at Formatech and loved???? Maybe you still working there as a slave and someone??? ordered to post this reply. Thats why you post this message at 12:30 AM??? I see a pattern here
I knew people who worked
I knew people who worked there, and they said it was terrible. I am wondering if certain insiders are trying to paint a nicer picture than is the reality.
People talk in this industry. BS won't go very far. There are only two or three degrees of separation between everyone in biotech in the Boston area.
i used to work at Formatech.
i used to work at Formatech. Loved it. good work environment and good people
I've worked with this company
I've worked with this company for quite a few years and have audited their facility on multiple occaisions. I have found their staff competent and their facilites acceptable.
The FDA is now very enforcement driven. They will find issues with every facility they inspect - the real issue is how they are addressed.
I have seen Formatech's responses and I feel they are appropriate.
If the comment above is correct re: layoffs - then I think many of the negative comments above need to be considered in that context.
I know a few people that have
I know a few people that have worked there in the past and not a single one of them have anything good to say about Formatech.
From what they've told me, this is long overdue.
Serious stuff
Serious stuff
That is a pretty serious
That is a pretty serious letter. For anyone wanting to know, its at the FDA's website.
But, it was sent a while ago. Anyone know if they've taken corrective action addressing the concerns of FDA?
VIA UPS Next Day Air February
VIA UPS Next Day Air
February 10, 2011
Ms. Indu S. Javeri
Chief Executive Officer
Formatech, Inc.
200 Bullfinch Drive
Andover, MA 01810
Dear Ms. Javeri:
During our August 25, 2010 to October 15, 2010 inspection of your clinical supply manufacturing facility, Formatech, Inc., located at 200 Bullfinch Drive, Andover, Massachusetts, investigators from the Food and Drug Administration (FDA) identified significant violations of Current Good Manufacturing Practice (CGMP) regulations for Finished Pharmaceuticals, Title 21, Code of Federal Regulations, Parts 210 and 211. These violations cause your drug products to be adulterated within the meaning of section 501(a)(2)(B) of the Federal Food, Drug, and Cosmetic Act (the Act) [21 U.S.C. § 351(a)(2)(B)] in that the methods used in, or the facilities or controls used for, their manufacture, processing, packing, or holding do not conform to, or are not operated or administered in conformity with, CGMP.
We have reviewed your firm’s response of November 3, 2010, and note that it lacks sufficient corrective actions.
Specific violations observed during the inspection include, but are not limited, to the following:
1. Your firm has not thoroughly investigated the failure of a batch or any of its components to meet its specifications whether or not the batch has already been distributed [21 C.F.R. § 211.192]. For example,
a) Your firm has routinely failed to thoroughly investigate and identify root causes when environmental monitoring data exceeds the action limit.
In your response, your firm states that you have hired a consultant to assess the environmental data and subsequently, repaired the facility. Your response, however, is inadequate because your firm failed to investigate adequacy of your disinfectant procedures, frequencies, and preparation as part of your investigation for environmental samples that exceeded action levels in the critical and supporting clean areas. For example, your firm’s disinfection program included insufficient use of sporicidal agents. It is essential that environmental control is continually maintained throughout your aseptic processing facility.
Furthermore, we evaluated your environmental data from 2008 to 2010 and are concerned with the lack of comprehensive investigations when mold and bacteria were identified in your aseptic filling facility that exceeded action levels. Your aseptic process relies on manual manipulations and interventions where personnel are in close proximity to open product, and poor environmental control poses a significant risk of contamination.
Your risk assessment for microbial and particulate contamination of products produced at your facility failed to properly evaluate excursions associated with the filling room area adjacent to the lyophilizer in which vials are manually transferred from the filling line to the lyophilizer. Furthermore, your assessment did not provide a plan of action to effectively investigate future environmental excursions.
b) Your firm has failed to thoroughly investigate the cause of repeated leaks of heat transfer fluid around shelf 3 in your lyophilizer and its impact on product.
In your response, your firm states that you will develop methods to detect the transfer fluid in product and evaluate the medical risk of the transfer fluid. Your response, however, is inadequate because your proposal only relies on the detection of heat transfer fluid. Your proposal fails to take corrective actions that ensure the source of the leak (e.g., tubing) is addressed and whether engineering measures will be taken to prevent the leak from occurring in the future. Furthermore, your firm has failed to adequately identify all impacted lots.
2. Your firm has failed to maintain buildings used in the manufacture, processing, packing, or holding of a drug product in a good state of repair [21 C.F.R. § 211.58].
For example, holes, cracks, chipping and peeling paint were observed in your aseptic facility that could lead to contamination and increase the risk to product quality.
In your response, your firm states that you will repair the facility defects and implement a Standard Operating Procedure (SOP) to identify defects in the future. It is important that you create and institute an environment that will ensure that employees are encouraged and are responsible to identify and report quality issues when first observed. Furthermore, your response did not establish engineering controls (e.g., measures to prevent damage to walls, alternate construction materials that reduce the need for repairs, etc.) to prevent the reoccurrence of facility defects.
3. Your firm has failed to establish separate or defined areas or such other control systems for your firm’s aseptic processing areas, including a system for monitoring environmental conditions [21 C.F.R. § 211.42(c)(10)(iv)].
For example, your firm has failed to include the communication devices and a transfer cart as part of your environmental monitoring program. These items are used in your filling suite and are not sterilized, which could compromise product sterility.
In your response, your firm states that you will revise procedures for sanitizing equipment that is transferred into the filling suite and require sampling after use in the filling suite. Your response, however, is inadequate because you did not indicate whether you will qualify this sanitization process.
4. Your firm has failed to establish separate or defined areas or such other control systems for your firm’s aseptic processing areas, including temperature and humidity controls [21 C.F.R. § 211.42(c)(10)(ii)].
For example, your firm fails to control the humidity in your clean rooms which is necessary to protect the drug product and minimize the risk of environmental contamination.
In your response, your firm justifies the lack of humidity control by relying on humidity monitoring and obtaining client concurrence when high values are obtained. Your response is inadequate because it is your responsibility to ensure that appropriate humidity controls are in place.
The violations cited in this letter are not intended to be an all-inclusive statement of violations that exist at your facility. You are responsible for investigating and determining the causes of the violations identified above and for preventing their recurrence and the occurrence of other violations. It is your responsibility to assure compliance with all requirements of federal law and FDA regulations.
You should take prompt action to correct the violations cited in this letter. Failure to promptly correct these violations may result in legal action without further notice including, without limitation, seizure and injunction. Other federal agencies may take this Warning Letter into account when considering the award of contracts. Additionally, FDA may withhold approval of requests for export certificates, or approval of pending drug applications listing your facility, until the above violations are corrected. FDA may re-inspect to verify corrective actions have been completed.
Within fifteen working days of receipt of this letter, please notify this office in writing of the specific steps that you have taken to correct violations. Include an explanation of each step being taken to prevent the recurrence of violations and copies of supporting documentation. If you cannot complete corrective action within fifteen working days, state the reason for the delay and the date by which you will have completed the correction.
Your reply should be sent to the following address: Food and Drug Administration, One Montvale Avenue, 4th floor, Stoneham, MA 02180, Attention: Karen Archdeacon, Compliance Officer.
Sincerely,
/s/
Mutahar S. Shamsi
District Director
New England District
Wow, news travel fast. I
Wow, news travel fast. I heard that the FDA send letters to few companies requiring them to inmediatelly stop all work with their drugs after being filled at formatech due to possible contamination. Since last month they lay off a ton of people. I guess they will use the janitor again to do manufactiring work.
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