SOP Title: Corrective Actions & Preventive Actions (CAPA)
OBJECTIVE
To define the procedure for effective handling of Corrective and Preventive Actions (CAPA) in order to ensure continual improvement and control over quality-related issues.
SCOPE
This SOP applies to the handling of CAPA related to all Quality Management System (QMS) events, including but not limited to:
RESPONSIBILITY
Role | Responsibility |
Corporate Quality Assurance (CQA) / Site Quality Assurance (QA) | – Ensure effective implementation and adherence to CAPA SOP- Issue and track CAPA forms- Assign CAPA numbers and maintain log- Verify, review and approve CAPA and its effectiveness- Approve CAPA extensions- Trend and review CAPA |
CAPA Owner (Concerned Department) | – Understand CAPA requirements- Initiate CAPA and propose actions and timelines- Coordinate with stakeholders for approvals- Execute actions and provide data for effectiveness review- Initiate justified extensions if required |
Head of Department (HOD) | – Ensure accurate and achievable CAPA are identified- Review timelines and effectiveness criteria- Monitor CAPA implementation within agreed timelines |
QA Coordinator / Head QA / CQA Head / Designee | – Handle vendor-related and regulatory audit-related CAPAs- Ensure CAPA execution as per timeline- Coordinate cross-functional actions and approvals |
Site Quality Head / QA Head | – Overall responsibility for implementation and compliance to this SOP at the site level |
DEFINITIONS
PROCEDURE
CAPA Initiation
CAPA shall be initiated by the respective department when triggered by quality events, including but not limited to:
All CAPAs shall be documented using the CAPA Form
Following identification of the issue in the relevant QMS document, QA will issue a CAPA form upon request by the CAPA owner department.
The CAPA initiation must clearly identify:
QA shall assign a unique CAPA number using the prescribed numbering system. The CAPA owner shall fill the form accordingly.
For site-specific customer audits, CAPA shall be initiated by site QA, and CQA shall handle actions related to CQA department.
For regulatory audit observations applicable across multiple manufacturing sites, CQA shall initiate the CAPA and coordinate implementation via respective site QA teams. CAPA is initiated post receipt of audit observation.
The CAPA form must include all identified actions, responsible departments, names and signatures of action owners, and target completion dates.
CAPAs must be SMART:
They must involve appropriate updates to documents, procedures, systems, or processes.
CAPA timelines should consider the time required for implementation (e.g., resources, infrastructure). Finalization shall be in consultation with the user department.
If required, impact evaluation shall be conducted via the Change Control System.
For long-term CAPAs, a mid-term CAPA should be defined to mitigate risks while the long-term solution is under development.
If an improved CAPA is identified prior to implementation of the existing one, a new CAPA shall be proposed and initiated.
QA shall close the existing CAPA and assign a new CAPA number.
The improved CAPA shall be implemented via Change Control or other QMS tools as applicable.
All CAPAs must be approved by Site Quality Head / QA Head / CQA Head / Designee.
CAPA Numbering System
CAPA Number shall be assigned by QA / CQA using the following format:
PXCAPABBCCC
Where:
CAPA Log Maintenance
QA / CQA personnel shall record the assigned CAPA Number and relevant details in the recording form titled “Corrective and Preventive Action Log.”
CAPA Form and Tracking
Details of each CAPA, including references to QMS documents or other sources, shall be recorded in Form, titled “Corrective and Preventive Action Form”, and tracked through to closure.
Resource Assessment
The CAPA Owner shall assess the resources (manpower, infrastructure, tools, etc.) needed to complete the CAPA and propose for approval from the respective Department Head.
Action completion dates shall be based on availability of resources.
Review and Timeline Adjustment
Head/Designee of the CAPA Owner Department shall review the proposed timelines. Any extension to the overall CAPA implementation timeline must be approved by the Site Quality Head / QA Head / CQA Head / Designee.
Cross-Site Applicability
CQA Head / QA Head / Designee shall evaluate and communicate whether a CAPA is applicable to other sites/units.
If applicable, the respective site QA or department shall initiate a CAPA and ensure its implementation and effectiveness verification.
Implementation of CAPA Actions
The CAPA Owner Department shall ensure that all assigned actions are completed within the defined target completion date (TCD). Each responsible department must adhere to the assigned timelines for effective CAPA execution.
CAPA Extension
All CAPA actions must be implemented within the defined TCD.
If a delay is anticipated, the CAPA Owner shall initiate a CAPA Extension Request and obtain approval in written.
The justification for the extension must be clearly stated in the extension request form, along with the current status of the CAPA.
Extensions may be granted on a case-by-case basis by the appropriate approving authority if additional time is justifiably required.
CAPA Document Verification and Effectiveness Criteria
Upon completion of all CAPA actions, QA / CQA shall:
Effectiveness criteria may include, but are not limited to:
QA / CQA shall perform effectiveness review only after all CAPA actions are completed and supporting evidence is verified.
CAPA Effectiveness Verification and Closure
QA / CQA shall review the effectiveness of each CAPA action over a defined monitoring period, starting from the date of its implementation.
If any action is found to be ineffective:
The CAPA Effectiveness Closure Date shall be recorded as the last date on which the final CAPA action was verified as effective.
Review and Trending of CAPA
Periodic Review of CAPA
The Head QA / Designee shall:
CAPA Trending
Vendor-Related CAPA
REFERENCES
ABBREVIATIONS
Abbreviation | Description |
CAPA | Corrective and Preventive Action |
CQA | Corporate Quality Assurance |
API | Active Pharmaceutical Ingredients |
OOS | Out of Specification |
OOC | Out of Calibration |
PD | Product Development |
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