qacv spotlight

celebrating 25 years OF EXCELLENCE

Chris Wubbolt

Entering a new era of Quality, Innovation and Leadership

Overview by Chris Wubbolt, M.S. QACV Consulting CEO I Principal Consultant

celebrating 25 years OF EXCELLENCE

Chris Wubbolt

Entering a new era of Quality, Innovation and Leadership

Overview by Chris Wubbolt, M.S. QACV Consulting CEO I Principal Consultant

On January 22, 2026, QACV Consulting celebrated our 25th anniversary. It’s been quite the journey—from starting as a single consultant to building an outstanding team and becoming a globally recognized consulting organization with over 80 highly qualified and experienced consultants supporting clients, large and small. QACV Consulting has never had a business development plan or a sales team; instead, we have remained focused on providing practical, personable, high-quality consulting services. This was our approach in 2001 and remains our approach today—shaped by our culture, our internal team, and the processes and methodologies we have built. Our growth has been the result of consistently doing the best job we can, maintaining collaborative partnerships with our clients, and earning trust through the quality and integrity of our services.

QACV Consulting is a different organization today than we were 25 years ago. As we have expanded our global consultant and partner network, we have developed a strong onboarding program that reinforces our culture, processes, and expectations for how we conduct ourselves professionally with clients, partners, and associates. These onboarding and management processes ensure that our clients continue to receive the same high-quality consulting support that has defined QACV for the past 25 years.

We have also implemented tools that provide greater transparency to our clients regarding the status of projects and activities. As we continue to evolve, we are marking our 25th anniversary by transitioning from a traditional consulting firm to a Quality Management Organization™, partnering more closely with our clients to align with their values, expectations, priorities, and strategic initiatives. Over the past 25 years, we have had the opportunity to support a wide range of life science organizations across the globe and throughout all phases of development and commercialization.

QACV Consulting has steadily expanded its services across GCP, GMP, GLP, GVP, and eSystems, as well as data integrity and quality system development. In addition, QACV Consulting is expanding its service offerings to include our Artificial Intelligence Compliance Center of Excellence and our new eQMS-as-a-Service solution, designed to provide scalable, compliant support for smaller organizations. We have also established global partnerships to further enhance our capabilities, including providing Qualified Person support within the EU. QACV Consulting is also on track to achieve ISO 9001 certification in 2026 through continued enhancement of our internal Quality Management System.

I would personally like to thank all of our clients and partners we have had the privilege to meet, collaborate with, and support over the years. It is truly one of the most rewarding aspects of consulting to help organizations grow, advance their clinical programs, achieve successful regulatory approvals, and overcome complex regulatory and compliance challenges. I also want to thank our exceptional and dedicated management team and consultants, who consistently go the extra mile to meet and exceed client expectations. While QACV Consulting has implemented and supported many robust systems, processes, and methodologies, I often remind our team that “we can always get better.” This commitment to continuous improvement is fundamental to who we are. We have achieved a great deal over the past 25 years, but we are not done yet—we will continue to grow, evolve, and strengthen our capabilities in the years ahead.

With sincere appreciation,

Chris Wubbolt CEO I Principal Consultant

“We are expanding our portfolio of services as we evolve into a Quality Management Organization (QMO)”

Chris Wubbolt , CEO I Principal Consultant

NEW |

 QACV Consulting 2026 Portfolio of Services

GxP Services Auditing icon

GxP Services & Auditing

GxP services including Auditing Services such as:

  • GCP Audits, including Central Laboratories, Bioanalytical Laboratories, IRBs, CROs, Trial Master Files (TMFs), Investigator Sites, Sponsors
  • GVP Audits
  • GMP Audits
  • GLP Audits
  • QA Support
  • Excipient Supplier Audits
  • Computer Validation Audits
  • AI/ML Compliance & Validation

Data Integrity Programs

Data Integrity Programs, Training, Assessments, and Remediation:

  • Data Integrity Assessments and Gap Analysis
  • Development of Data Integrity Programs, Policies, and Procedures
  • Development of Data Process Flows
  • Data Integrity Remediation Support
  • Review of AI/ML Regulatory Submissions

CSV Support

Computer Systems Validation Support, including:

  • Applicability and Risk Assessments
  • Validation Plans
  • User Requirements Specifications
  • System Specifications
  • Testing (System and Acceptance) Requirements Traceability Matrix
  • Validation Summary Reports
  • Machine Learning Software as a Medical Device (MLMD)
  • Ethical AI & Transparency

Training Programs

Training Programs and
Courses include:

  • Good Manufacturing Practices
  • Audit Conduct
  • Data Integrity
  • Product Complaint
  • Computer Validation
  • 21 CFR Part 11
  • Good Laboratory Practices
  • Good Clinical Practices
  • Good Pharmacovigilance
    Practices
  • SOP Development
  • FDA Inspection Readiness Training
  • AI/ML Compliance & Validation

Leading the future of proactive, intelligent, and global quality

march
2026

QACV Consulting Stacked logo

Rachel Narino
QA Lead / Sr. Compliance Consultant

Rachel is a Quality Assurance and Clinical Compliance leader with over 13 years of experience in FDA-regulated clinical research environments. As QA Lead and Senior Compliance Consultant at QACV Consulting, she provides strategic oversight of Quality Management Systems, GCP audit programs, CAPA management, and regulatory inspection readiness across global clinical operations.

Rachel has extensive experience conducting and overseeing risk-based GCP, GCLP, and bioanalytical audits across investigator sites, CROs, vendors, laboratories, and internal QMS functions. She specializes in data integrity, documentation compliance, deviation and CAPA oversight, and aligning quality systems with ICH, FDA, and EU regulatory requirements.

Known for her attention to detail and collaborative leadership style, Rachel is committed to delivering compliant, inspection-ready, and high-quality results that strengthen client confidence and operational performance.

Rachel Narino photo collage

february
2026

QACV Consulting Stacked logo

Robert J. Wherry, MSc, MS, CPIP
Vice President, AI Compliance Innovation

We are pleased to warmly welcome Robert Wherry to the team as Vice President of our New AI Compliance Center of Excellence.

Mr. Wherry has 42 years of international pharmaceutical, biotechnology and medical device experience with expertise in Quality Systems, Design Control,Computerized System Validation, Data Integrity Audits & Remediation, Quality
Systems, Process Validation, Aseptic Processing, Regulatory Operations and eCTD submissions. Bob is a chemical engineer (Lehigh University), with a MSc in Pharmaceutical Quality (University of Strathclyde) and a MS in Regulatory Affairs (Northeastern University). He has also studied artificial intelligence and machine learning at MIT.

Bob provides compliance consulting services including quality system design, gap assessments, mock inspection audits, vendor audits, data integrity assessments & remediation, computer validation, GxP compliance assessments and training, process development and process validation, CMC & Module 3 assessments, regulatory strategies, and compliance approaches for artificial intelligence and machine learning.

Bob Wherry photo collage

AUGUST
2025

QACV Consulting Stacked logo

Penny Jegede
Sr. Compliance Consultant (GVP, eSystems)


With over 30 years of experience in clinical research, pharmacovigilance, IT compliance, and quality assurance, Penny brings unmatched regulatory expertise and leadership to our team.

Her distinguished career includes roles at Johnson & Johnson, Merck, and Pfizer, with a strong focus on GCP and PV audits, Computer System Validation (CSV), and global Quality System assessments. At QACV Consulting, Penny leads End-to-End (E2E) PV audits, serves as an IT/CSV Subject Matter Expert, and provides advanced regulatory training on topics like AI/ML in GxP systems and CSA principles.

She is widely recognized for her innovative work in risk-based auditing, particularly in pharmacovigilance IT systems. Her expert presentations—such as “Auditing a GxP System with an AI/ML Component” and “E2E Audit Management for IT Suppliers”—reflect her deep understanding of evolving regulatory landscapes.

Penny’s ability to combine strategic oversight with technical detail makes her a trusted advisor to clients and colleagues alike. Her commitment to excellence continues to ensure QACV Consulting delivers high-impact, inspection-ready compliance solutions worldwide.

photo collage including headshotof Penny Jegede

AUGUST
2025

QACV Consulting Stacked logo

Melanie Willis
Sr. Compliance Consultant (GCLP, GLP Adviser)


We’re pleased to share positive recognition for an exceptional audit performance from a recent project conducted by QACV Consulting GCLP/GLP Sr. Compliance consultant Melanie Willis.

Following her excellent audit work with our GLP client, they have expressed satisfaction with her professionalism and expertise. As a result of her thorough evaluation, additional on-site follow-up is being scheduled to further assess the scope of the findings.

Our GLP client has requested Melanie’s continued support during the next phase of the project, a clear reflection of the trust and value she brings to our compliance services.

At QACV Consulting, we take pride in delivering meaningful, actionable insights—and we’re proud to see our consultants making a lasting impact.

photo collage including headshot of Melanie Willis

May
2025

QACV Consulting Stacked logo

Chris Wubbolt

by Chris Wubbolt
QACV Consulting CEO I Principal Consultant

During a recent audit, a thoughtful question was raised by one of our consultants regarding the classification of an observation:

Observation: Tubes for clinical pathology (Hematology, Coagulation, and Chemistry)
were stored in an office rather than in a temperature-controlled environment.

Question: Does this constitute a Major finding that could affect test reliability—or can it be considered Minor if informal controls (e.g., temperature monitoring) are in place?

Key Takeaway:

“It’s not always black and white”

As Chris emphasized, “Findings like this often require supporting information and judgment.

It’s not just about where the tubes were stored—it’s about whether the storage conditions met validated specifications.”

He also shared a broader reflection from a past debrief:

“I once classified a finding related to a non-critical system that hadn’t been validated as Major. A client QA rep argued that any system not validated should be a Critical finding.

I explained that if the system is non-critical, it can’t reasonably rise to that level. Everyone agreed—context and classification nuance are essential.”

Chris Wubbolt Response:
“It Depends—Follow the Manufacturer’s Requirements.”

Chris began by pointing out that the critical factor is manufacturer storage specifications:

“Some hospitals or clinics do store tubes outside of controlled areas, but it comes down to what the manufacturer states as acceptable storage conditions. For example, certain hematology tubes might even require refrigeration.”

He referenced two key regulations:

CLIA (42 CFR §493.125): Requires that clinical labs follow the manufacturer’s instructions for reagent and specimen storage.

GLP (21 CFR §58.43): Mandates that environmental controls must be adequate to “minimize contamination or deterioration… and ensure the integrity of study data.”

If the tubes were not stored according to manufacturer requirements, this could justify a Major finding. However, context matters.

“If temperature logs show that conditions have stayed within acceptable ranges—even in a non-controlled room—then the observation might be considered Minor,” Chris advised.

Final Thoughts

Before classifying a finding as Major, ensure the following:

Check manufacturer specifications for storage conditions

Review temperature logs for compliance

Assess whether the storage deviation impacts data integrity

Document supporting evidence clearly in the audit report
Audit insight of the month: Classification requires more than
definitions—it requires judgment, evidence, and regulatory
understanding.

May
2025

QACV Consulting Stacked logo

march
2026

QACV Consulting Stacked logo

Rachel Narino
QA Lead / Sr. Compliance Consultant

Rachel is a Quality Assurance and Clinical Compliance leader with over 13 years of experience in FDA-regulated clinical research environments. As QA Lead and Senior Compliance Consultant at QACV Consulting, she provides strategic oversight of Quality Management Systems, GCP audit programs, CAPA management, and regulatory inspection readiness across global clinical operations.

Rachel has extensive experience conducting and overseeing risk-based GCP, GCLP, and bioanalytical audits across investigator sites, CROs, vendors, laboratories, and internal QMS functions. She specializes in data integrity, documentation compliance, deviation and CAPA oversight, and aligning quality systems with ICH, FDA, and EU regulatory requirements.

Known for her attention to detail and collaborative leadership style, Rachel is committed to delivering compliant, inspection-ready, and high-quality results that strengthen client confidence and operational performance.

Rachel Narino photo collage

february
2026

QACV Consulting Stacked logo

Robert J. Wherry, MSc, MS, CPIP
Vice President, AI Compliance Innovation

We are pleased to warmly welcome Robert Wherry to the team as Vice President of our New AI Compliance Center of Excellence.

Mr. Wherry has 42 years of international pharmaceutical, biotechnology and medical device experience with expertise in Quality Systems, Design Control,Computerized System Validation, Data Integrity Audits & Remediation, Quality
Systems, Process Validation, Aseptic Processing, Regulatory Operations and eCTD submissions. Bob is a chemical engineer (Lehigh University), with a MSc in Pharmaceutical Quality (University of Strathclyde) and a MS in Regulatory Affairs (Northeastern University). He has also studied artificial intelligence and machine learning at MIT.

Bob provides compliance consulting services including quality system design, gap assessments, mock inspection audits, vendor audits, data integrity assessments & remediation, computer validation, GxP compliance assessments and training, process development and process validation, CMC & Module 3 assessments, regulatory strategies, and compliance approaches for artificial intelligence and machine learning.

Bob Wherry photo collage

AUGUST
2025

QACV Consulting Stacked logo

Penny Jegede
Sr. Compliance Consultant (GVP, eSystems)


With over 30 years of experience in clinical research, pharmacovigilance, IT compliance, and quality assurance, Penny brings unmatched regulatory expertise and leadership to our team.

Her distinguished career includes roles at Johnson & Johnson, Merck, and Pfizer, with a strong focus on GCP and PV audits, Computer System Validation (CSV), and global Quality System assessments. At QACV Consulting, Penny leads End-to-End (E2E) PV audits, serves as an IT/CSV Subject Matter Expert, and provides advanced regulatory training on topics like AI/ML in GxP systems and CSA principles.

She is widely recognized for her innovative work in risk-based auditing, particularly in pharmacovigilance IT systems. Her expert presentations—such as “Auditing a GxP System with an AI/ML Component” and “E2E Audit Management for IT Suppliers”—reflect her deep understanding of evolving regulatory landscapes.

Penny’s ability to combine strategic oversight with technical detail makes her a trusted advisor to clients and colleagues alike. Her commitment to excellence continues to ensure QACV Consulting delivers high-impact, inspection-ready compliance solutions worldwide.

photo collage including headshotof Penny Jegede

AUGUST
2025

QACV Consulting Stacked logo

Melanie Willis
Sr. Compliance Consultant (GCLP, GLP Adviser)


We’re pleased to share positive recognition for an exceptional audit performance from a recent project conducted by QACV Consulting GCLP/GLP Sr. Compliance consultant Melanie Willis.

Following her excellent audit work with our GLP client, they have expressed satisfaction with her professionalism and expertise. As a result of her thorough evaluation, additional on-site follow-up is being scheduled to further assess the scope of the findings.

Our GLP client has requested Melanie’s continued support during the next phase of the project, a clear reflection of the trust and value she brings to our compliance services.

At QACV Consulting, we take pride in delivering meaningful, actionable insights—and we’re proud to see our consultants making a lasting impact.

photo collage including headshot of Melanie Willis

april
2025

by Angela Haan
GCLP/GLP Adviser | Sr. Compliance Consultant

While there have been no changes to the GLP regulations in recent years, proposed revisions and comments are still under review with no expectation for issuance. However, we may see the FDA issue or revise guidelines to better align with international standards, such as those from the OECD.

Compliance to GCLP is often focused on compliance with international standards and harmonization with other regulatory bodies (such as FDA, EMA, and ICH and industry best practices).

Common compliance issues impacting GLP and GCLP laboratories include emphasis on Data Integrity, effectiveness of the Quality Management System, Technological Integration, Continuous staff training, Adoption of Risk-Based Approaches, Global Harmonization Efforts, and Adaption to Emerging Technologies.

1. Emphasis on Data Integrity:
Regulatory bodies are increasingly prioritizing data integrity.

Laboratories must ensure that all data generated is accurate, reliable, and traceable. This includes stringent documentation practices and audit trails.

2. Effectiveness of Quality Management System:
Inspections of GLP and GCLP laboratories are becoming more thorough, with regulators emphasizing compliance with standards and the effectiveness of Quality Management Systems (QMS).

3. Technological Integration:
There is a growing trend towards integrating digital solutions, such as electronic lab notebooks and automated data management systems, to improve efficiency and ensure compliance with regulatory standards.

4. Continuous Staff Training:
There is a strong emphasis on the ongoing training of laboratory personnel. Regulatory bodies require that staff remain updated on GLP and GCLP practices to ensure that staff are knowledgeable and compliant with current practices.

5. Risk-Based Approaches:
A trend toward risk-based approaches is evident, allowing laboratories to focus resources on critical aspects of studies that significantly impact outcomes.

6. Global Harmonization Efforts:
Regulatory agencies are collaborating to harmonize GLP and GCLP guidelines across regions. This initiative aims to streamline processes for international studies and foster a consistent regulatory environment.

7. Adaptation to Emerging Technologies:
As scientific advancements, particularly in personalized medicine and genomics, emerge, regulatory bodies are updating guidelines to address the implications and challenges these technologies present for GLP and GCLP compliance.

For more information, we recommend checking the FDA’s website for the latest guidance documents and regulatory changes and webinars related to GLP and GCLP.

FDA logo

Summary of
Trends in FDA 483
warning letters for GLP
and GCLP Laboratories


Training and Competency:

Several warning letters pointed out deficiencies in training protocols, emphasizing the need for comprehensive training for staff to ensure compliance with GLP and GCLP standards.


Equipment Calibration and Maintenance:

Many laboratories failed to adhere to proper calibration and maintenance schedules for critical equipment, which could compromise the reliability of results.

Data Integrity Concerns:

Numerous laboratories were cited for issues related to data integrity, including inadequate documentation practices and failure to maintain complete records.


Quality Control Measures:

Non-compliance with quality control procedures was a recurrent theme, with labs being found lacking in proper validation of analytical methods and controls.


Protocol Deviations:

Instances of unreported deviations from approved protocols were noted, raising concerns about adherence to study plans.

warning sign - yellow triangle with black exclamation point inside

FDA WARNING LETTER

A warning letter issued by the FDA to Applied Therapeutics, Inc. on December 3, 2024.
The letter details violations related to the company’s clinical investigations and compliance with FDA regulations.

The FDA raised concerns about the company’s inadequate oversight of clinical trial procedures, failure to properly monitor study sites, and deficiencies in reporting adverse events. The FDA demands that Applied Therapeutics take corrective actions to address these issues, including ensuring compliance with GCP standards and submitting a detailed plan for remediation. Failure to address these violations may result in further enforcement actions.

april
2025

by Angela Haan
GCLP/GLP Adviser | Sr. Compliance Consultant

While there have been no changes to the GLP regulations in recent years, proposed revisions and comments are still under review with no expectation for issuance. However, we may see the FDA issue or revise guidelines to better align with international standards, such as those from the OECD.

Compliance to GCLP is often focused on compliance with international standards and harmonization with other regulatory bodies (such as FDA, EMA, and ICH and industry best practices).

Common compliance issues impacting GLP and GCLP laboratories include emphasis on Data Integrity, effectiveness of the Quality Management System, Technological Integration, Continuous staff training, Adoption of Risk-Based Approaches, Global Harmonization Efforts, and Adaption to Emerging Technologies.

1. Emphasis on Data Integrity:
Regulatory bodies are increasingly prioritizing data integrity.

Laboratories must ensure that all data generated is accurate, reliable, and traceable. This includes stringent documentation practices and audit trails.

2. Effectiveness of Quality Management System:
Inspections of GLP and GCLP laboratories are becoming more thorough, with regulators emphasizing compliance with standards and the effectiveness of Quality Management Systems (QMS).

3. Technological Integration:
There is a growing trend towards integrating digital solutions, such as electronic lab notebooks and automated data management systems, to improve efficiency and ensure compliance with regulatory standards.

4. Continuous Staff Training:
There is a strong emphasis on the ongoing training of laboratory personnel. Regulatory bodies require that staff remain updated on GLP and GCLP practices to ensure that staff are knowledgeable and compliant with current practices.

5. Risk-Based Approaches:
A trend toward risk-based approaches is evident, allowing laboratories to focus resources on critical aspects of studies that significantly impact outcomes.

6. Global Harmonization Efforts:
Regulatory agencies are collaborating to harmonize GLP and GCLP guidelines across regions. This initiative aims to streamline processes for international studies and foster a consistent regulatory environment.

7. Adaptation to Emerging Technologies:
As scientific advancements, particularly in personalized medicine and genomics, emerge, regulatory bodies are updating guidelines to address the implications and challenges these technologies present for GLP and GCLP compliance.

For more information, we recommend checking the FDA’s website for the latest guidance documents and regulatory changes and webinars related to GLP and GCLP.

FDA logo

Summary of
Trends in FDA 483
warning letters for GLP
and GCLP Laboratories


Training and Competency:

Several warning letters pointed out deficiencies in training protocols, emphasizing the need for comprehensive training for staff to ensure compliance with GLP and GCLP standards.


Equipment Calibration and Maintenance:

Many laboratories failed to adhere to proper calibration and maintenance schedules for critical equipment, which could compromise the reliability of results.

Data Integrity Concerns:

Numerous laboratories were cited for issues related to data integrity, including inadequate documentation practices and failure to maintain complete records.


Quality Control Measures:

Non-compliance with quality control procedures was a recurrent theme, with labs being found lacking in proper validation of analytical methods and controls.


Protocol Deviations:

Instances of unreported deviations from approved protocols were noted, raising concerns about adherence to study plans.

warning sign - yellow triangle with black exclamation point inside

FDA WARNING LETTER

A warning letter issued by the FDA to Applied Therapeutics, Inc. on December 3, 2024.
The letter details violations related to the company’s clinical investigations and compliance with FDA regulations.

The FDA raised concerns about the company’s inadequate oversight of clinical trial procedures, failure to properly monitor study sites, and deficiencies in reporting adverse events. The FDA demands that Applied Therapeutics take corrective actions to address these issues, including ensuring compliance with GCP standards and submitting a detailed plan for remediation. Failure to address these violations may result in further enforcement actions.