FDA 483 OBSERVATION · #253 OF 1,000 MOST-CITED
Supplier oversight
FDA cited this observation 88 times across 88 firms in recent inspections. Below: how it breaks down by program area and fiscal year, and real examples of how FDA worded it on Form FDA 483.
What this observation is associated with
Firms cited for this observation also appear in FDA compliance actions — warning letters, injunctions, or seizures — at 0.8× the rate of the average FDA-cited firm (6.8% vs 8.3%), across 88 FEI-matched firms.
This is an association, not causation, and reflects co-occurrence in FDA's records — not a claim that the observation caused or preceded the action.
How FDA worded it — real examples
The type and extent of control to be exercised over the product and services was not clearly defined.
The type and extent of control to be exercised over suppliers was not clearly defined.
The type and extent of control to be exercised over the product and suppliers was not clearly defined.
The type and extent of control to be exercised over suppliers was not clearly defined.
The type and extent of control to be exercised over consultants was not clearly defined.
The type and extent of control to be exercised over suppliers, contractors and consultants was not clearly defined.
Related SPEQ references
Where to read the requirements behind this observation area on SPEQ. These are SPEQ's topic and audience pages — not an FDA classification of the citation.
Examples are a representative sample of FDA's published inspection observations. SPEQ is not affiliated with the FDA; this is a reference view of public FDA data.
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