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FDA classify Medical Devices and how to report device problems: A Systematic Review – Pubrica
Introduction
The FDA's Center for Devices and Radiological
Health (CDRH) oversees device regulation. A device is defined as "an apparatus,
instrument, contrivance, implement, machine, implant, or in vitro reagent"
that meets three criteria: 1) it is recognised in the official National
Formulary or the United States Pharmacopeia; 2) it is intended for use in the
diagnosis of disease or other conditions, or the cure, mitigation, treatment,
or prevention of disease; or 3) it is intended to affect the structure or utility
of the human body. Devices cannot achieve their goals by chemical action or by
metabolism. Some biologically based products are inert (e.g., acellular
dermatologic fillers) and classified as devices. According to the FDA, medical
devices include tongue depressors, stethoscopes, lab equipment, surgical tools,
and life-support equipment, including pacemakers, ventilators, and perfusion
systems. If a product is a device or a biological, the FDA's Device
Determination Officer can help.
The Pre-Clinical Stages: Prototype Development
and Testing
Many of the new medical
gadgets on the market are adaptations of prior equipment. A physician or
bioengineer's proposal for a remedy to a medical condition is usually the
starting point for developing an altogether new device. In Conducting a Systematic Review, they create or arrange to construct a preliminary
prototype of the device while also starting the patent procedure. Animal
testing follows initial bench testing, and the device then enters a testing and
redesign cycle that takes 2 to 3 years and costs between $10 million and $20
million.
Basic Pathways to Medical Device Approval
Depending on the type of the item and the
conditions under which approval is requested, there are 3 main stages for
obtaining FDA marketing clearance for medical devices: Three processes are: 1)
the PMA, 2) the PMN, and 3) the humanitarian device exemption (HDE).
Pathway 1: Pre-market approval (PMA)
Federal law requires device makers to inform the
FDA of their intent to commercialise a medical device at least 90 days before release.
The FDA requires a PMA for every new device for which there is no existing
equivalent or predicate unless the device can be classed as a "de novo"
device. A device must be proven to have enough scientific Systematic Review Service evidence that it is safe and effective in its
intended application to receive a PMA.
Pathway 2: Pre-marketing notification (PMN): The
510(k) application
A PMN, also known as a 510(k) application, is a
fast-track process for medical devices in which the sponsor demonstrates that the product
is substantially identical to an authorised and marketed item. Devices under
PMA evaluation but not yet authorised cannot be used as a predicate device in a
PMN for a separate, new device. A PMA application is not required if the FDA
decides that the device has an acceptable predicate, and PMN can proceed.
Pathway 3: The humanitarian device exemption (HDE)
A humanitarian use device (HUD) is a medical gadget designed to treat or diagnose illnesses that affect less than 4,000 people in the United States each year. The FDA's Office of Orphan Products Development is in charge of HDE. In addition to FDA permission, the use of a HUD needs approval and monitoring by a local IRB. The application for an HDE is similar to that for a PMA, except that scientific evidence of efficacy is not required, based on the rationale that finding enough subjects to provide sufficient power for https://codepen.io/mathew-the-lessful/pen/RwxEZMX a clinical Trial Systematic Review Services to achieve statistical significance could take years.
Conclusion
Drug and device approval processes have a great
deal in common. Each offers unique pre-submission prospects for FDA engagement.
There are three basic routes to approval for each. A major road (the
Investigational New Drug Application and the PMA, respectively) requires strong
clinical proof of effectiveness and safety and a channel for an emergency usage
(the emergency investigational new drug and the Emergency Use notification,
respectively). The investigator faces a series of challenges, the first of
which is to choose which path to take. Early and regular engagement with the
FDA is recommended to minimise errors and difficulties that waste time and
money.
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