| Submitting a 510(k) for Changes in Device Design |
Medical Device & Diagnostic Industry
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An MD&DI March 1997 Column
With advances in technology emerging every day, manufacturers are constantly presented with the opportunity to update their devices. While such advances promise to improve health care, modifications may affect the safety and effectiveness of a device. Such changes may also require manufacturers to submit 510(k)s to FDA. This month FDA assists the editors in determining whether design changes warrant such a submission.
As written, the question does not contain enough information to make an accurate evaluation because it doesn’t explain where the device is to be used in the body or whether it is to be used during surgery or dental procedures. Nevertheless, it appears that the changes made as a whole will require the submission of a 510(k).
Because of the risk of HIV transmission, the transfer of body fluids is not an inconsequential procedure. Under section 510(k) of the Federal Food, Drug, and Cosmetic Act, any change that could significantly affect safety and effectiveness requires a new 510(k) submission. Adding an O-ring to prevent leakage would appear to make the device safer to use. Therefore, a 510(k) must be submitted.
In addition, by adding an O-ring the manufacturer is introducing a new material that may require biocompatibility testing. Changes to device design require some level of design evaluation to ensure that the device continues to perform as intended. Occasionally, changes that are meant to be cosmetic produce unexpected results or adversely affect product performance. In such instances, the safety and effectiveness of a device may be affected, so the manufacturer must submit a 510(k).
The second change involves the use of transparent plastic instead of the original colored plastic. A change in a material that comes in contact with body tissue may require additional biocompatibility testing. If such additional testing is required, a 510(k) is usually necessary. Also, if the device is to be sterilized commercially, the manufacturer needs to consider the effect sterilization will have on the plastic.
Finally, the manufacturer wishes to add a sounding line to gauge the depth of insertion. This type of change will require some level of design evaluation to ensure that the device continues to perform as safely and as effectively as the original.
Deciding When to Submit a 510(k) for a Change to an Existing Device is available from FDA’s Facts-On-Demand service by calling 800/899-0381, and requesting shelf number 935, or by visiting FDA’s web site at http://www.fda.gov/cdrh/ode/510kmod.html.
"Help Desk" solicits questions about the design, manufacture, regulation, and sale of medical products and refers them to appropriate experts in the field. A list of topics previously covered can be found in our Help Desk Archives. Send questions to Help Desk, MD&DI, 11444 W. Olympic Blvd., Ste. 900, Los Angeles, CA 90064, fax 310/445-4299, e-mail helpdesk@devicelink.com. You can also use our on-line query form.
Although every effort is made to ensure the accuracy of this column, neither the experts nor the editors can guarantee the accuracy of the solutions offered. They also cannot ensure that the proposed answers will work in every situation.
Readers are also encouraged to send comments on the published questions and answers.