Title: Clinical Studies Involving an Investigational Device
1Clinical Studies Involving an Investigational
Device
- Jelena P. Berglund, PhD, RAC
- Regulatory Affairs Associate
2Overview
- Definitions/classifications
- Marketing pathways
- Clinical investigation of Medical Device
- Abbreviated IDE
- IDE preparation/submission
- IDE maintenance
- Closing an IDE
- IDE exempt studies
3What is a Medical Device?
- Its an instrument, apparatus, implement, machine,
contrivance, implant, - in vitro reagent or other similar or related
article or component part or - accessory which
- is intended for use in the diagnosis of
disease or other conditions, or in the cure,
mitigation, treatment, or prevention of disease
- is intended to affect the structure or any
function of the body - achieve it's primary
intended purposes through physical action and NOT
chemical or metabolic action - medical devices
range from dental floss to an artificial heart
valve
4Medical Device Regulations
- 1976 - Medical Device Amendment
- - Prior to 1976, investigational devices were or
not reviewed or reviewed as drugs - 1990 - Safe Medical Device Act (SMDA)
- - Post marketing surveillance, tracking of
implants, injury reporting - 1997- FDA Modernization Act (FDAMA)
- - low risk exempt from 510(k)
- 2002- Medical Device User Fee and Modernization
Act (MDUFMA) - - Combinatory product, user fees established
5Medical Device Classification
- Devices are classified related to the risk
associated with the use of the device - Class I lowest risk
- Class II intermediate risk
- Class III highest risk
- Class I and II are non-significant risk (NSR)
devices - Class III devices are significant risk (SR)
devices
6Medical Device Classification
- Class I - e.g. dental floss, medical disposable
scissors - Class II - e.g. automated cell counter, oxygen
masks, MRI - Class III - e.g. tracheal prostheses, replacement
heart valves
7Medical Device Classification
- Devices are classified based on the time of
their marketing - - pre-Amendments device marketed prior to 1976
- - post-Amendments device - marketed after 1976
- - Transitional devices - those regulated as
drugs prior to the 76 Amendments, but
subsequently as devices
8Placing a device on the market
9Market submission options
- 510 (k) - device is at least as safe and
effective, substantially equivalent, to a legally
marketed device that is not subjected to PMA - PMA - premarket approval is required for all
class III devices. Focus on scientific and
regulatory review of safety and effectiveness - Exempt most class I and few class II devices
are exempt from the 510(k) regulations (e.g. some
pre-amendment device not significantly changed)
10Clinical Investigation of Medical Device
11Clinical Investigation of Medical Device
- FDA regulation prohibit promotion and
commercialization of an unapproved medical device - Such device can be legally distributed for
investigational purposes under an investigational
device exemption (IDE) - Clinical studies are usually conducted to support
PMA - Small percentage of 510 (k) require clinical
study to support the application - Although previously marketed, if device is used
to asses safety or effectiveness of certain
modifications or new intended use it is
considered investigational device
12Clinical Investigation of Medical Device
- All clinical investigation of device must
- - have an approved IDE (21 CFR 812.20)
- OR
- - be exempt from the IDE regulations
- (21 CRF 812.2 (c))
13Who approves an IDE?
- Before starting a clinical trial IDE must be
approved by
- FDA and IRB
- Significant risk (SR) device
- Investigation exempt from the informed consent
- FDA notifies the sponsor that IDE application is
required
- IRB (abbreviated IDE)
- Non-significant risk (NSR) device
- Not a banned device
- Must have informed consent
14What are Significant Risk Devices?
- Significant Risk Device is investigational device
that - - is intended as an implant
- - is used to support or sustain human life
- - is substantial importance in diagnosing,
curing, mitigating, or treating disease or
otherwise preventing impairment of human health - - otherwise presents a potential for a serious
risk to the health, safety or welfare of human
subject - Guidance http//tiny.cc/6EfEF
15If you have a NSR device(21 CFR 812.2 (b))
- You can have an abbreviated IDE
16Abbreviated IDE
- Obtain and maintain IRB approval of the
investigation - Make sure that the device is properly labeled
- Ensure that informed consents are obtained
- Maintain required records and reports
- Monitor the study to ensure compliance with the
protocol and protect the human subject - The promotional practices are NOT permitted
17Obtaining an IRB approval
- Sponsor makes initial significant or
non-significant risk study determination - Submit to the IRB required documents and
explanation why you believe that the device is
NSR device - If IRB agrees with sponsor, study can be
conducted under the IRB oversight only
18If IRB disagree with you?
- Before starting a clinical trial IDE must be
approved by
- FDA and IRB
- Significant risk (SR) device
- Investigation exempt from the informed consent
- FDA notifies the sponsor that IDE application is
required
- IRB (abbreviated IDE)
- Non-significant risk (NSR) device
- Not a banned device
- Must have informed consent
IRB shopping is NOT allowed!
19If you do need FDA approval21 CFR 812.20
http//tiny.cc/uxH9X
20IDE Content 21 CFR 812.20 (b)
- 1. Cover Sheet 3514
- 2. Name and Address of the Sponsor
- 3. Report of Prior Investigations
- 4. Investigational Plan
- 5. Manufacturing Information
- 6. Investigators Agreement
- 7. Investigators Certification
21IDE Content 21 CFR 812.20 (b)
- 8. IRB Information
- 9. Name and Address of Investigators Institution
- 10. Financial Claims
- 11. Environmental Assessment
- 12. Labeling
- 13. Informed Consent
- 14. Additional Information
223. Report of Prior Investigation (21 CFR 812.27)
- General
- - prior clinical, animal and laboratory testing
- Specific
- - bibliography of all publications
- - summary of all unpublished information
- - if laboratory studies are referenced,
statement whether such a studies have been done
according to the GLP
234. Investigational Plan (21 CFR 812.25)
- - Purpose name and intended use
- - Protocol
- - Risk Analysis
- - Description of the Device
- - Monitoring Procedures
- - Labeling
- - IRB Information
- - Other Institution
- - Additional Records and Reports
24IDE submission
- Send original and 2 copies of you application
- State clearly that it is an IDE application
- IDE should be sent to
- Food and Drug Administration Center for
Devices and Radiological Health (CDRH) - Document Mail Center (HFZ-401) 9200 Corporate
Boulevard Rockville, Maryland 20850-3223
25What happens after IDE submission?
- Sponsors are notified of the date that FDA
received the original application - IDE number is assigned
- Project manager is assigned
26What happens after IDE submission?
- Within 30 calendar days of the day the
application has been received, FDA may - - Approve the investigation as proposed
- - Approve it with modifications
- - Disapprove it
- An IDE application is considered approved 30 days
after it has been received by FDA
27Reasons for disapproval
- Risk associated with the study outweigh the
benefits - There are untrue statements in the applications
- Failure to respond to the request for additional
information - Inadequacy of monitoring, reviewing,
manufacturing, packaging etc.
28Once you have an active IDE
http//tiny.cc/uxH9X
29Modification in the active IDE
- Changes that DO NOT require prior approval
- Emergency change
- Non-significant design changes
- Some protocol changes inc/exc criteria, sec.
end points - - inform the FDA within 5 working days
-
- Changes that require prior approval
- Indication
- Type or nature of study control
- Primary end point
- Statistical methods for evaluation
- Expanding the study
- Significant design changes
- Early termination
Guidance http//tiny.cc/1VfGN
30IDE Reports to the FDA 21 CFR 812.150
FDA IRB
Unanticipated adverse device effects 10 working days
Withdrawal from IRB approval 5 working days
Withdrawal from the FDA approval 5 working days
Investigator list Every 6 month
Progress report No less then yearly
Check with your IRB
31IDE Reports to the FDA21 CFR 812.150
FDA IRB
Deviation from the Investigational Plan 5 working days
Informed Consent violation 5 working days
Recall and device disposition 30 working days
Significant Risk Determination 5 working days
Final Report 30 working days - notification 6 months - report
Check with your IRB
32Closing/Terminating an IDE
- If IDE is still not yet approved request a
withdrawal - If you have an active IDE, but no subject
enrolled request a withdrawal, but state why
and account for all the device - If subjects have been enrolled you need to
complete follow-up of already enrolled subjects - If you completed the study notify FDA within
30-days and send Final Report within 6 months.
33Clinical Investigation of Medical Device
- All clinical investigation of device must
- - have an approved IDE (21 CFR 812.20)
- OR
- - be exempt from the IDE regulations
- (21 CRF 812.2 (c))
34IDE exempt investigations
- Pre-amendment device in accordance with the
indications in labeling in effect at that time - Post amendment device in accordance with the
indication on the labeling that FDA reviewed
35IDE exempt investigations
- A diagnostic device if
- - Its not invasive
- - Does not require an invasive sampling
procedure that presents a significant risk - - Does not by design or intention introduce
energy into a subject - - Is not used as diagnostic procedure without
confirmation of the diagnosis by another
medically established diagnostic product or
procedure
36IDE exempt investigations
- A device undergoing a consumer preference
testing, testing of modification or testing of a
combination of two or more devices in commercial
distribution if the testing is not for the
purpose of determining safety or effectiveness - A device intended for veterinary use only
- A device for research on or with laboratory
animals - A custom device
37How to Reach Us. . .
- You can contact us on any IDE or regulatory issue
at - bruce.burnett_at_duke.edu or (919) 668-7178
- jelena.petrovic_at_duke.edu or (919) 668-4639
- erin.oreilly_at_duke.edu or (919) 668-4635
- sue.avery_at_duke.edu or (919) 668-8685
- OR
- regulatorydtmi_at_mc.duke.edu
38Your UNC Regulatory ContactsNC TraCS Regulatory
Core
Maria Rape, RN Associate Director
mzeldin_at_med.unc.edu (919) 966-6844 Amy
Franklin, BA IND Specialist amy_franklin_at_med.unc
.edu (919) 843-9514 Diane Towle, RN Regulatory
Nurse towle_at_med.unc.edu (919) 843-9445