Friday, August 28, 2015

Recognizing Supply Chain Thought Leaders

At this year's AHRMM Conference, Brent T. Johnson received the prestigious George R. Gossett Leadership Award. Brent has worked in the supply chain field for over 30 years, with the last 10 at Intermountain Healthcare as the Vice President of Strategic Sourcing. Brent is a member of several organizations where thought leaders in supply chain strategy come together to implement efficiencies in healthcare supply chain. One of the organizations is Healthcare Transformation Group (HTG) who works to adopt use of standards, including UDI and DSCSA, providing the groundwork for others to mimic. Brent was one of the developers of a great video that describes the dichotomy between healthcare and food bar code scanning What if data standards in grocery stores worked like in healthcare?, which has also been translated into French. Brent's leadership also contributed to Intermountain Healthcare being recognized by Gartner as a Top 25 Healthcare Supply Chain. Brent was recently named the CEO of Amerinet, Inc. Congratulations Brent!

Wednesday, August 26, 2015

What Does ISBT128 Utilization Look Like for Those Receiving Products from Manufacturers, for Instance for Blood Banks or Departments Within Hospitals?

Blood banks are very familiar with ISBT128 for blood products. When blood banks handle tissue, they will often use software built around ISBT128. When departments other than the blood bank handle tissue, they are likely to be just learning about ISBT128.

Through an educational system, it is important to try to inform departments within hospitals, dental offices, and clinics of the importance of the donation identification number on the ISBT128 label. It is essential for traceability if a product is recalled.

USDM Life Sciences will help you assess, plan and execute the changes and enhancements necessary to meet UDI regulations. Our team of UDI experts will assess your products, the markets where they are sold and determine an implementation strategy for the changes that need to be made. USDM's assessment methodology is extensive and includes the labels and packaging, the management of identification changes to each product, the changes to PLM, ERP, EPCIS and packaging systems, changes to printing vision inspection and warehouse/inventory management systems and interfaces to the GUDID.

Monday, August 24, 2015

Unique Device Identification - A Hot Topic in Healthcare

Unique Device Identification (UDI) took center stage at this year's AHRMM 15 Conference. In the hallways and in sessions, including my panel session on the topic, hospitals, regulators, solution providers and suppliers discussed the obvious benefits of having consistent, accurate and unique identifiers for devices and pharmaceuticals to ensure better tracking throughout the healthcare supply chain to reduce counterfeiting, speed recalls and improve post-market surveillance. With the UDI regulation for devices, FDA's implementation of the Drug Supply Chain Security Act (DSCSA) and The Joint Commission tissue tracking all in full force this year, in addition to unique ID data capture requirements proposed under Meaningful Use (MU) Stage3, many hospitals and suppliers are working hard to not only comply, but excel in this incredible time of technology and change. The industry is in the midst of transformation as it learns to harness and hone tremendous amounts of data to propel accuracy, safety and security in the nation's healthcare system, while also meeting tight regulatory deadlines.

Those who incorporated the UDI into their information systems for last year's Class 3 implant requirements are reaping the benefits of accurate, consistent product information. Others still have to catch up. AHRMM attendees stated, for example, that they are not aware of all the UDI requirements, even the ones providers are responsible for, such as storage of the entire UDI, including production identifiers, for retrieval in adverse event reporting. Proposed MU Stage3 requirements for Electronic Health Records will provide the software enhancements to make this possible implanted devices as well as document in registries and support value analysis. The industry as a whole needs to be better informed on what's the UDI regulation, who and which items are affected and when the deadlines are.

USDM Life Sciences will publish more details around this topic, including upcoming blogs about which products require UDI and how hospitals can use Master Data Management as a strategy to make sense of all their data. In the meantime, you are not in this alone.

USDM Life Sciences offers healthcare a comprehensive assessment, strategy and solutions to implement end to end traceability of pharmaceutical and medical devices from point of receipt through to the electronic health record.

How Can ISBT 128 be Used Within Radio-Frequency Identification (RFID) and Other Automated ID Technologies?

The coding system is independent of the delivery mechanism and can be used within any delivery mechanism, including RFID technologies. The Blood Center of Wisconsin conducted a long study using ISBT 128 within RFID. The largest issue with Radio-Frequency Identification (RFID) is return on investment, so it has not been implemented in blood banks in the US. For cellular therapy products, it must be proven safe due to the minor amounts of radiation that could possibly do harm to the products. It is important to conduct tests to ensure that RFID is compatible with certain Human Cells, Tissues, and Cellular Tissue-Base Products (HTC/Ps).

USDM Life Sciences will help you assess, plan and execute the changes and enhancements necessary to meet UDI regulations. Our team of UDI experts will assess your products, the markets where they are sold and determine an implementation strategy for the changes that need to be made. USDM's assessment methodology is extensive and includes the labels and packaging, the management of identification changes to each product, the changes to PLM, ERP, EPCIS and packaging systems, changes to printing, vision inspection and warehouse/inventory management systems and interfaces to the GUDID.

Wednesday, August 19, 2015

Can ISBT 128 be Used for Both Human Cells, Tissues, and Cellular Tissue-Base Product (HTC/Ps) That are Regulated as Biologics and HTC/Ps That are Regulated as Devices? Does It Work the Same Way?

Yes, ISBT 128 may be used for all HCT/Ps regardless of how they are regulated.  When labeling HCT/P regulated as a device, you must follow device labeling guidelines that require a Device Identifier (DI) and a Product Identifier (PI). With biologics, you may use either this format or follow the format used for cellular therapy products and blood. It’s the same information but organized a little differently. Tissue banks can choose between the two systems for biologics.  It’s the same information either way---it’s just organized into different data structures.


USDM Life Sciences will help you assess, plan and execute the changes and enhancements necessary to meet UDI regulations. Our team of UDI experts will assess your products, the markets where they are sold and determine an implementation strategy for the changes that need to be made. USDM’s assessment methodology is extensive and includes the labels and packaging, the management of identification changes to each product, the changes to PLM, ERP, EPCIS and packaging systems, changes to printing, vision inspection and warehouse/inventory management systems and interfaces to the GUDID.

Wednesday, August 12, 2015

Is ISBT 128 Always in 2D Data Matrix?

No, Code 128 linear symbols may be used, but it leads to a very long barcode and such long barcodes may not fit on the labels of human cells, tissues, and cellular tissue-based products (HTC/Ps). The recommendation is to use 2D, especially in a case where a system is just being set up because it is more efficient.

Another consideration is what code will be best for those receiving the product with the label. Those receiving the product must be able to understand and utilize the data included in a way that is useful to them.

USDM Life Sciences will help you assess, plan and execute the changes and enhancements necessary to meet UDI regulations. Our team of UDI experts will assess your products, the markets where they are sold and determine an implementation strategy for the changes that need to be made. USDM's assessment methodology is extensive and includes the labels and packaging, the management of identification changes to each product, the changes to PLM, ERP, EPCIS and packaging systems, changes to printing, vision inspection and warehouse/inventory management systems and interfaces to the GUDID.

Tuesday, August 4, 2015

Have Vendors of Technologies Begun Modifying Their Systems to Take Advantage of Standardized Unique Device Identification (UDI) and ISBT128 Tracking of Devices?

Yes, technologies have started adapting to automatic IDs and capabilities associated with tissue storage and blood banking. The Eye Bank Association of America has just mandated ISBT 128 for international distribution of products for their accredited facilities beginning in 2017. For many reasons, software development companies are starting to become interested in ISBT 128 and a tracking system that can be built around it. In regards to blood banking systems, there are issues because the FDA 510(k) clearance for blood bank software does not include other uses. Software developers need to use the same principles, but many need to create separate systems for tissue and cells.
USDM Life Sciences will help you assess, plan and execute the changes and enhancements necessary to meet UDI regulations. Our team of UDI experts will assess your products, the markets where they are sold and determine an implementation strategy for the changes that need to be made. USDM’s assessment methodology is extensive and includes the labels and packaging, the management of identification changes to each product, the changes to PLM, ERP, EPCIS and packaging systems, changes to printing, vision inspection and warehouse/inventory management systems and interfaces to the GUDID.