DSCSA: Will 2020 Be FDA’s Year To Leap Forward?
Based on this closer look, it has to be.
Based on this closer look, it has to be.
You’ve probably already seen it, but probably not like this. Keep reading.
Preview of this year’s HDA Traceability Seminar.
FDA delays one wholesaler requirement, plus, Ilisa Bernstein leaves FDA
GS1 US’s new DSCSA VRS Implementation Guide, a new resource for anyone making use of the verification router service for DSCSA compliance.
It’s time to assess the progress of the industry and the FDA in their quest toward the November 27, 2023 Drug Supply Chain Security Act (DSCSA) goal known as the Enhanced Drug Distribution (EDDS) phase…otherwise known as just ‘2023’ (see “EDDS: The New Data Exchange Requirements”). Let’s step back and look at where we have … Continue reading DSCSA Schedule Assessment, July 2019
As I mentioned last week, the FDA published two new draft DSCSA guidance documents on the day of the recent FDA DSCSA Public Meeting (see “FDA DSCSA Public Meeting #3: A Difference?”). Let’s take a closer look at what’s in them and their significance to companies facing the Drug Supply Chain Security Act (DSCSA). I’ll … Continue reading DSCSA Guidance: Definitions of Suspect and Illegitimate Product for Verification Obligations
What happens to the serialization delay as the affected product moves down the supply chain?
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