IOM Committee on 510(k) - Ditch It! Are you in agreement with this direction?

Michael Malis

Quite Involved in Discussions
The Institute of Medicine committee is urging the agency to ditch the 35-year-old program and start fresh.
After 16 months of work, the IOM committee, chaired by David Challoner, VP for health affairs emeritus at University of Florida, released long-awaited and controversial recommendations today in a 245-report titled "Medical Devices and the Public's Health: The FDA 510(k) Clearance Process at 35 Years."

The IOM panel urged FDA to design a new method for assessing moderate-risk devices, perhaps based on a modified version of the current "de novo" review process. "A move away from the 510(k) clearance process should occur as soon as reasonably possible," IOM wrote in its report.
Given the limitations of the current de novo process, which first requires a novel, moderate-risk device to be found not substantially equivalent to a previously cleared product, FDA should consider piloting a modified de novo process to determine whether it could replace the 510(k) program entirely, IOM said.
The agency is already working to reform the de novo process to address some of its limitations.

IOM - This Is Not A Public Health Crisis

Despite IOM's sweeping proposal, "the committee does not believe that there is a public-health crisis related to unsafe or ineffective medical devices," the report adds. FDA quickly countered that it does not believe the 510(k) process should be eliminated, "but we are open to additional proposals and approaches for continued improvement," the agency said.
FDA plans to open up a public docket to receive comments on the IOM report, and will hold a public meeting in the coming weeks.

"We ... agree that the public should continue to feel confident in the medical devices on the market today," CDRH Director Jeffrey Shuren said in a July 29 statement.

Concerns about IOM's recommendations began mounting in the device industry and in Congress well before release of the report.
The committee's recommendation to scrap the current 510(k) review program is likely to be viewed as a worst-case scenario to the industry, which has argued that the program should remain essentially intact.

Any changes FDA does make based on the report, "would be done in an open and transparent process with lots of opportunity for discussion, for notice and comment and feedback," Hamburg told the Senate committee. FDA said today that it "would solicit input on the IOM recommendations...".

FDA had asked IOM to assess whether the 510(k) program was optimally protecting patients and promoting innovation, and if not, what changes should be made. FDA had noted that the primary goals of the 510(k) program are to bring "safe and effective" devices to market and "promote innovation." But the IOM committee said it had a hard time completing the task because FDA's goals for the 510(k) program do not line up with the program's statutory framework. "The committee struggled with how to address the conflict between the legislative framework of the program and the FDA's stated goals," IOM wrote.
And since the 1976 implementation of unique medical device legislation, subsequent bills have only further limited what data FDA could ask for in 510(k) submissions, the group said.

Note To the FDA - Don't Invest In 510(k) process
FDA needs a brand-new framework to ensure the safety and effectiveness of class II, moderate risk medical devices, the IOM committee decided. "The committee does not believe that further investment in the 510(k) process is a wise use of the FDA's scarce resources," the group stated. The new framework should be based on sound science and risk-based, IOM said. It may include some comparison to similar devices as a component of the review, the group added.
FDA's quality system regulations, especially those related to design control, should be integrated into the new framework, IOM continued. And the new framework should incorporate a more thorough review of device labeling and a system for tracking labeling changes.

IOM did not directly address the seven controversial 510(k) reform proposals that FDA had asked the committee to consider in January.

"Because of time constraints, the committee was unable to study fully the seven recommendations referred to it," committee chair Challoner wrote in a July 20 letter to Shuren.

The IOM committee also called on FDA to finish downclassifying or requiring PMAs for the remaining 510(k) device types that were on the market prior to 1976 and have never been formally reclassified. "
 

Stijloor

Leader
Super Moderator
The Institute of Medicine committee is urging the agency to ditch the 35-year-old program and start fresh.
After 16 months of work, the IOM committee, chaired by David Challoner, VP for health affairs emeritus at University of Florida, released long-awaited and controversial recommendations today in a 245-report titled "Medical Devices and the Public's Health: The FDA 510(k) Clearance Process at 35 Years."

The IOM panel urged FDA to design a new method for assessing moderate-risk devices, perhaps based on a modified version of the current "de novo" review process. "A move away from the 510(k) clearance process should occur as soon as reasonably possible," IOM wrote in its report.
Given the limitations of the current de novo process, which first requires a novel, moderate-risk device to be found not substantially equivalent to a previously cleared product, FDA should consider piloting a modified de novo process to determine whether it could replace the 510(k) program entirely, IOM said.
The agency is already working to reform the de novo process to address some of its limitations.

IOM - This Is Not A Public Health Crisis

Despite IOM's sweeping proposal, "the committee does not believe that there is a public-health crisis related to unsafe or ineffective medical devices," the report adds. FDA quickly countered that it does not believe the 510(k) process should be eliminated, "but we are open to additional proposals and approaches for continued improvement," the agency said.
FDA plans to open up a public docket to receive comments on the IOM report, and will hold a public meeting in the coming weeks.

"We ... agree that the public should continue to feel confident in the medical devices on the market today," CDRH Director Jeffrey Shuren said in a July 29 statement.

Concerns about IOM's recommendations began mounting in the device industry and in Congress well before release of the report.
The committee's recommendation to scrap the current 510(k) review program is likely to be viewed as a worst-case scenario to the industry, which has argued that the program should remain essentially intact.

Any changes FDA does make based on the report, "would be done in an open and transparent process with lots of opportunity for discussion, for notice and comment and feedback," Hamburg told the Senate committee. FDA said today that it "would solicit input on the IOM recommendations...".

FDA had asked IOM to assess whether the 510(k) program was optimally protecting patients and promoting innovation, and if not, what changes should be made. FDA had noted that the primary goals of the 510(k) program are to bring "safe and effective" devices to market and "promote innovation." But the IOM committee said it had a hard time completing the task because FDA's goals for the 510(k) program do not line up with the program's statutory framework. "The committee struggled with how to address the conflict between the legislative framework of the program and the FDA's stated goals," IOM wrote.
And since the 1976 implementation of unique medical device legislation, subsequent bills have only further limited what data FDA could ask for in 510(k) submissions, the group said.

Note To the FDA - Don't Invest In 510(k) process
FDA needs a brand-new framework to ensure the safety and effectiveness of class II, moderate risk medical devices, the IOM committee decided. "The committee does not believe that further investment in the 510(k) process is a wise use of the FDA's scarce resources," the group stated. The new framework should be based on sound science and risk-based, IOM said. It may include some comparison to similar devices as a component of the review, the group added.
FDA's quality system regulations, especially those related to design control, should be integrated into the new framework, IOM continued. And the new framework should incorporate a more thorough review of device labeling and a system for tracking labeling changes.

IOM did not directly address the seven controversial 510(k) reform proposals that FDA had asked the committee to consider in January.

"Because of time constraints, the committee was unable to study fully the seven recommendations referred to it," committee chair Challoner wrote in a July 20 letter to Shuren.

The IOM committee also called on FDA to finish downclassifying or requiring PMAs for the remaining 510(k) device types that were on the market prior to 1976 and have never been formally reclassified. "

Feedback/Comments anyone?

Thank you!!

Stijloor.
 

Michael Malis

Quite Involved in Discussions
In my opinion and from an industry point of view, 510(k) review times are on the rise and FDA has not invested enough in reviewer training. Also the FDA is failing to meet some goals and timelines for PMA review.

Nevertheless, I am not ready to "ditch" an existing process.
FDA is requesting additional resources to "improve the scientific reviews" at device center. FDA is working on 510(k) reform and as long as the agency allows time for the industry to raised concerns about "new requirements"
prior to implementation, this should be acceptable.

What is your opinion?
 
M

MIREGMGR

It would be wildly impractical to create a new process in a time of tight resources, even if industry and the professional/academic critics of the process weren't strongly committed to diametrically opposite direction-changes.

FDA should continue with the "IIb" idea, requiring submission of clinical information to reveal user-related problems as with pumps, and perhaps additional mechanisms to reveal device-realtime-aging-related adverse event susceptibility, as with AEDs.

FDA might also want to consider a wholesale refurbishing of Product Codes to better define what's what and to clarify applicability of various classification paradigms; and, downgrading to I a broad range of low complexity mature devices (equipment cover disposables, etc.) that don't have patient contact and are in II only because of sterility, as achievement of sterility in stable industrial processes by well-monitored third party specialists has become reliable.
 
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