Laboratory products
FDA 21 CFR Part 11 Compliance and Validation of a Titrator Software
Aug 05 2006
Author: Dr. Jürgen Peters, SCHOTT Instruments GmbH on behalf of Schott Instruments
In food and drug labs analytical devices typically work together with software and computers. In most cases the software is part of the instruments. The software produces so called ?electronic records?. This item ?electronic records? is defined by the FDA (Food and Drug Administration in the USA) as: Electronic record means any combination of text, graphics, data, audio, pictorial or other information representation in digital form, that is created, modified, maintained, archived, retrieved or distributed by a computer system [1]. Following this definition at least all information as e.g. analysis results and methods, stored on a computer are electronic records. As a consequence software in a FDA compliant lab has to be 21 CFR part 11 compliant. An important condition is the validation of the software beside the special part 11 requirements: Subpart B -- Electronic Records Sec. 11.10 Controls for closed systems. (a) Validation of systems to ensure accuracy, reliability, consistent intended performance, and the ability to discern invalid or altered records. In the following text both requirements are discussed, part 11 requirements as well as the software validation. As an example a software for titration control is used, TitriSoft 2.60 P [2]. Practical information about validation is described in [6]; this is quoted in this paper.
Digital Edition
Lab Asia Dec 2025
December 2025
Chromatography Articles- Cutting-edge sample preparation tools help laboratories to stay ahead of the curveMass Spectrometry & Spectroscopy Articles- Unlocking the complexity of metabolomics: Pushi...
View all digital editions
Events
Jan 21 2026 Tokyo, Japan
Jan 28 2026 Tokyo, Japan
Jan 29 2026 New Delhi, India
Feb 07 2026 Boston, MA, USA
Asia Pharma Expo/Asia Lab Expo
Feb 12 2026 Dhaka, Bangladesh



