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Determining the Regulatory Pathway to Market

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Title: No Slide Title Author: Gerry Gray Last modified by: Julie Brandi Stuart Created Date: 4/20/2000 6:12:41 PM Document presentation format: On-screen Show – PowerPoint PPT presentation

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Title: Determining the Regulatory Pathway to Market


1
"Determining the Regulatory Pathway to
Market" Classification Heather S.
Rosecrans Director, 510(k) Staff Office of Device
Evaluation Center for Devices Radiological
Health U.S. Food Drug Administration (240)
276-4040 Heather.Rosecrans_at_FDA.HHS.GOV
2
What is a 510(k)
  • Premarket Notification
  • Section 510(k) of FF,D,C Act
  • 21 CFR 807 Subpart E
  • Submission for Device Premarket Review
  • Allows FDA to Make a Determination Regarding
    Substantial Equivalence (SE)
  • The classification process for a device

3
What a 510(k) Is Not
  • A Form
  • Establishment Registration (FDA-2891)
  • Device Listing (FDA-2892)
  • Premarket Approval (PMA)
  • Product Development Protocol (PDP)
  • Evaluation of Automatic Class III Designation
  • (De Novo)

4
Medical Device Amendments of 1976 to the FF,D,C
Act
  • May 28, 1976
  • Defined a device (201(h) of the Act)
  • Required risk based classification of device
  • types legally on the market
  • Led to classification of approximately 1,700
    different generic types of devices and grouped
    into 19 medical specialties
  • Required premarket review of devices

5
Safe Medical Devices Act (SMDA)
  • 1990
  • 513(i)
  • Substantial Equivalence Defined
  • 513(a)(1)(B)
  • Special Controls

SMDA
6
Food DrugModernization Act (FDAMA)
  • 1997
  • Redefined 510(k) Exemption Criteria for Class I
  • Added Class II Exemption Criteria
  • De Novo
  • SE w/Limitations
  • Class II Petitions for Exemption

FDAMA
7
510(k) Classification
  • A 510(k) is the classification process for
    individual post-amendment devices by
  • Finding the device substantially equivalent (SE)
  • or
  • Finding the device not substantially equivalent
    (NSE)

8
510(k) Classification
  • Determination regarding substantial equivalence
  • NSE (For reasons other than lack of performance
    data) ? PMA, PDP, or De Novo
  • NSE for lack of performance data ? a new 510(k)
    may be submitted for review
  • SE ? To Market

9
Substantially Equivalent (SE)
  • If
  • In Comparison to a legally marketed device (that
    does not require PMA), it
  • Has the same intended use, and
  • Has the same technological characteristics as the
    predicate device,
  • Or . . . . . . . . . . . . .

10
Substantially Equivalent (SE)
  • Has the same intended use, and
  • Has different technological characteristics and
    the information in the 510(k)
  • Does not raise a new question(s) of safety and
    effectiveness and
  • Demonstrates it is at least as safe and effective
    as the predicate.

11
510(k) Classification
  • Finding the device not substantially equivalent
    (NSE)
  • automatically places device into class III and
    requires
  • PMA
  • Evaluation of Automatic Class III Designation
    (de novo) or
  • Reclassification before marketing

12
Not Substantially Equivalent (NSE)
  • There is no predicate device or
  • The device has a new intended use or
  • The device has different technological
    characteristics compared to the predicate device
    and raises a new type question(s) of safety and
    effectiveness
  • All of the above require no review of data and
    will
  • require PMA or De Novo.

13
Not Substantially Equivalent (NSE)
  • The data provided do not demonstrate that the
    device is at least as safe and effective as the
    predicate.
  • FDA usually asks for additional information at
    least once
  • prior to determining the device is NSE for
    lack of data
  • The above NSE reason requires review of the data
  • and would require submission of a new 510(k)
  • with new data to demonstrate SE.

14
510(k) Classification
  • Approximately 80 are found SE
  • 2 3 are found NSE
  • Remaining 510(k)s are usually withdrawn

15
Evaluation of Automatic Class III Designation
de novo Classification
  • Section 513(f)(2)
  • De novo received within 30 days of receipt of NSE
    letter (NSE reason for other than lack of
    performance data)
  • No predicate/Low risk devices
  • 60-day review period
  • Extensions for submission of additional
    information granted

16
Evaluation of Automatic Class III Designation
de novo Classification (cont.)
  • If approved, new device proceeds immediately to
    market
  • 30 days after the signed approval order,
    notification is published in FR
  • New classification regulation established
  • New device becomes new classification/predicate
  • Next person may submit a 510(k) and use de novo
    as the predicate

17
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