|
This thread is carried over and continued in the Current Elsmar Cove Forums |
|
The Old Elsmar Cove Forums
![]() FDA and Medical Devices
![]() Design input
|
| next newest topic | next oldest topic |
| Author | Topic: Design input |
|
Monica Lewis Forum Contributor Posts: 19 |
According to 820.30(c). The procedures shall include a mechanism for addressing incomplete, ambiguous, or conflicting requirements. If one would write in the SOP that incomplete,ambiguous or conflicting requirements are resolved with those responsible for imposing these requirements would this satisfy an FDA inspector IP: Logged |
|
Don Winton Forum Contributor Posts: 498 |
Monica,
quote: I would think so, but you should also consider the following in drafting your SOP. From the FDA's Small Entity Compliance Guide:
quote: Using the above, the FDA included the following guideline and question (among others) for FDA inspectors to follow in regards to ¤ 820.30(c). Question 3. Review the process for resolving incomplete, ambiguous, or conflicting requirements. For the design reviewed, determine whether any incomplete, ambiguous, or conflicting requirements were not resolved per the manufacturer's procedures. See http://www.fda.gov/ora/inspect_ref/qsreg/dcrpgd.html for additional information. From these two references, be certain that your SOP includes record maintenance methodology when resolving incomplete, ambiguous or conflicting requirements. For consideration: Incomplete, ambiguous or conflicting requirements are resolved with parties responsible for imposing these requirements and records are maintained in accordance with ¤820.30(j). Regards, IP: Logged |
All times are Eastern Standard Time (USA) | next newest topic | next oldest topic |
![]() |
|
Your Input Into These Forums Is Appreciated! Thanks!
