Last Updated: May 11, 2026

Suppliers and packagers for LITHOSTAT


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LITHOSTAT

Listed suppliers include manufacturers, repackagers, relabelers, and private labeling entitities.

Applicant Tradename Generic Name Dosage NDA NDA/ANDA Supplier Package Code Package Marketing Start
Mission Pharma LITHOSTAT acetohydroxamic acid TABLET;ORAL 018749 NDA Mission Pharmacal Company 0178-0500-01 100 TABLET in 1 BOTTLE (0178-0500-01) 1983-05-31
>Applicant >Tradename >Generic Name >Dosage >NDA >NDA/ANDA >Supplier >Package Code >Package >Marketing Start

Who Supplies LITHOSTAT’s Components and Manufacturing Inputs?

Last updated: April 23, 2026

No complete, reliable supplier map can be produced from the information provided.

What is “LITHOSTAT” in regulatory and manufacturing terms?

“LITHOSTAT” is not uniquely identifiable in the open regulatory and patent record based on the name alone. Multiple products and filings can share similar trade or internal names, and supplier lists depend on the exact active ingredient, dosage form, and legal entity that owns the marketing authorization or the drug substance dossier.

Which supplier types matter for LITHOSTAT?

A defensible supplier build-out requires, at minimum, the following supplier categories tied to the exact product and filing identity:

  • Drug substance (API) manufacturers (including DMF holder and named API sites)
  • Drug product (finished dose) manufacturers (including fill-finish site(s))
  • Key excipient and packaging suppliers (where publicly linked to the product or plant)
  • Technical transfer and CMOs (where patents or regulatory docs name contract partners)
  • Quality and testing labs (where specified in filings or IP records)

Why “suppliers for LITHOSTAT” cannot be stated accurately from the name alone

Supplier identification is not a generic product-level exercise. It is dossier-level. Without the exact regulatory identity (active ingredient + strength + dosage form + jurisdiction + marketing authorization holder), any supplier list would risk mixing the wrong product with different APIs, manufacturing sites, or packaging systems.


Key Takeaways

  • “LITHOSTAT” cannot be mapped to a specific, verifiable supplier network using only the trade name.
  • Supplier lists must be anchored to the exact product identity in regulatory and IP records (API and finished dose).
  • Without that anchor, any named suppliers would not meet a standard for business use in R&D sourcing or investment diligence.

FAQs

  1. Can I get LITHOSTAT suppliers from patents alone?
    Only if the patents explicitly name manufacturing sites, assignees, or contractors tied to the exact product and jurisdiction.

  2. Does “LITHOSTAT” refer to the API or the finished drug?
    The name could refer to either; supplier identification depends on the precise active ingredient and dosage form.

  3. What supplier types are typically published for a drug product?
    API and finished dose manufacturing sites can sometimes be identified through regulatory references, but packaging and excipient supplier names are usually less public unless specifically linked.

  4. Do CMOs always appear in public records?
    Not consistently. Many CMOs remain undisclosed unless named by the marketing authorization holder, DMF linkages, or cited in IP filings.

  5. What is the minimum data needed to build a supplier list?
    The exact regulatory/product identity (active ingredient, strength, dosage form, and jurisdiction) that ties to the dossier naming the responsible manufacturing parties.


References

[1] (No citable sources were provided in the prompt that uniquely identify “LITHOSTAT” in regulatory or patent records.)

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