Overview:
Effective
February 2, 2026, FDA’s Quality Management System Regulation (QMSR) became
enforceable, replacing the legacy Quality System Regulation approach in 21 CFR
Part 820 with a framework that incorporates ISO 13485:2016 and Clause 3 of ISO
9000:2015. On the same date, FDA also moved away from QSIT and began using its
updated inspection process under Compliance Program 7382.850. For medical
device manufacturers, that means this is no longer a future transition issue.
It is the framework they are now expected to operate under.
Since
that shift took effect, many companies have been trying to determine what it
means in practical terms for inspection readiness, documentation, validation,
and quality system oversight. The questions are no longer just about what QMSR
says on paper. They are about how FDA will inspect against it, how existing
QSR-era procedures and records will be viewed, and whether current practices
are aligned with a more explicitly risk-based model. FDA has also made clear
that records such as management reviews, quality audits, and supplier audit
reports are now inspectable, and that records created before February 2, 2026
may still be reviewed during inspections.
This
webinar is designed to help attendees make sense of those changes through a
validation-focused lens. It will examine what has materially changed under
QMSR, how the new inspection environment differs from the prior QSIT model,
where organizations may be vulnerable during the transition, and how validation
strategy, risk assessment, automation, and quality system execution should now
be viewed together. It also connects that discussion to broader expectations
around CSA, CSV, 21 CFR Part 11, and data integrity, in a way that stays
grounded in what FDA-regulated companies actually need to understand right now.
For
organizations still trying to translate QSR-era thinking into a QMSR-ready
operating model, this session will provide a clearer picture of the inspection
implications, the structural differences, and the practical mindset needed to
move forward with more confidence. The goal is not to overstate the transition,
but to help attendees better understand where FDA’s focus now sits, where
confusion is most likely to arise, and how a more risk-based and
validation-aware approach can strengthen readiness.
Areas
covered in the session:
- Quality
System Regulation (QSR) History
- Quality
Management System Regulation (QMSR)
- QMSR
– Final Rule Changes
- QMSR
– Automation & Validation
- Strategic
Outcomes
- QMSR
Inspections
- QMSR
Compliance
- QMSR
Transition Definitional Differences
- Changes
Since QMSR Final Rule Release
- Quality
System Inspection Technique (QSIT)
- QMS -
Premarket Submission Reviews
- Changes
& Impact
- Actionable
Steps
- Transformation
- QSR
-->QMSR Structural Crosswalk
- Key
ISO 13485 Clauses Referenced by QMSR
- CSA
Validation Example – Laboratory System
- Example
FDA 483 Citations Mapped to QMSR
- Example
Inspection Traceability Path
- QMSR
Readiness
- Common
Pitfalls & How to Avoid Them
- Frequently
Asked Questions
- Validation
- CSV
& CSA
- GAMP®5,
2nd Edition & CSA Alignment
- Transition
from CSV to CSA
- 21
CFR Part 11 (Electronic Records/Signatures)
- Data
Integrity
- Q&A
Exclusive Handouts:
- QMSR
Readiness Crosswalk & Gap Assessment Workbook
- Scenario-Based
Validation / CSA Decision Workbook
- Inspection Traceability & Common Pitfalls Playbook
Why
should you attend?
The
February 2, 2026 QMSR change has created a lot of real-world uncertainty for
FDA-regulated companies. Many teams are still trying to understand what the
shift from the old QSR framework to the new QMSR structure means for
inspections, documentation, quality oversight, validation activities, and
overall readiness. This webinar is designed to help make that transition easier
to understand by focusing on the practical questions companies are facing now.
What
makes this session especially valuable is Carolyn’s perspective as a validation
expert. While many discussions around QMSR stay at the regulation or
quality-system level, Carolyn brings a more operational lens to the
conversation—helping attendees think through how the new framework connects to
validation strategy, CSA, Part 11, data integrity, automation, and inspection
preparation in an FDA-regulated environment.
If
your organization is still working through how to align existing practices with
the new expectations, this session will help you better understand where the
pressure points are and what deserves your attention now. You should attend
because Carolyn’s experience gives this webinar the kind of practical
credibility and grounded insight that professionals need during a live
regulatory transition.
What
industries will benefit from this training:
Manufacturing,
Testing, Packaging and Distribution companies in the following industries that
are regulated by FDA are required to follow GxPs:
- Pharmaceutical
(for drug products introduced using a medical device)
- Medical
Device
- Biologicals
(for biological products introduced using a medical device)
- Tobacco
(based on the Tobacco Control Act of 2009)
- E-Liquid/Vapor
(based on the “Deeming” Act of 2016)
- E-Cigarette
(based on the “Deeming” Act of 2016)
- Cigar
(based on the “Deeming” Act of 2016)
- Third-Party
companies that support those in the above industries, including Contract
Research Organizations (CROs)
- Colleges
and Universities offering programs of study in Clinical Trial Management and
Regulatory Affairs/Matters related to FDA
Who
will benefit?
Personnel
in the following roles will benefit:
- Information
Technology Analysts
- Information
Technology Developers and Testers
- QC/QA
Managers and Analysts
- Analytical
Chemists
- Compliance
and Audit Managers
- Laboratory
Managers
- Automation
Analysts and Managers
- Manufacturing
Specialists and Managers
- Supply
Chain Specialists and Managers
- Regulatory
Affairs Specialists
- Regulatory
Submissions Specialists
- Clinical
Data Analysts
- Clinical
Data Managers
- Clinical
Trial Sponsors
- Computer
System Validation Specialists
- GMP
Training Specialists
- Business
Stakeholders/Subject Matter Experts
- Business
System/Application Testers
- Business
Stakeholders responsible for computer system validation planning, execution,
reporting, compliance, maintenance and audit
- Consultants
working in the life sciences industry who are involved in computer system
implementation, validation and compliance
- Auditors
engaged in internal inspection
This
webinar will also benefit any vendors and consultants working in the life
sciences industry who are involved in computer system implementation,
validation and compliance. It will also help those in software development
companies who support the life science industries.
Carolyn
Troiano has more than 45 years of experience in computer system validation in
the pharmaceutical, medical device, biotechnology, tobacco, and other
FDA-regulated industries. She is
currently an independent consultant, advising companies on FDA compliance,
Computer System Validation (CSV), and large-scale IT system implementation
projects.
Carolyn
participated in the FDA/Industry Partnership to develop 21 CFR Part 11, the
FDA’s Guidance for Electronic Records and Electronic Signatures. For more than
30 years, she has provided training on CSV, 21 CFR Part 11, Data Integrity, and
many other related compliance topics.
Enrollment Options
Tags: FDA QMSR, QMSR 2026, FDA inspections, ISO 13485, validation, CSA, CSV, Part 11, data integrity, medical device, quality systems, compliance training, FDA webinar, inspection readiness, supplier audits, carolyn, troiano, 2026 april.

