Title: Replacement Reagent Policy Update
1Replacement Reagent PolicyUpdate
- DATA FOR COMMERCIALIZATION OF ORIGINAL EQUIPMENT
MANUFACTURER, SECONDARY and GENERIC REAGENTS FOR
AUTOMATED ANALYZERS issued 6/10/96
Jim Callaghan April 22, 2003
2Replacement Reagent Policy
- Well characterized clinical laboratory testing
systems intended for use by clinical laboratory
professionals. - Previously cleared instruments and reagents, when
a claim is made for a new reagent/instrument
combination. - Introduction of new instrument family members of
a previously cleared instrument family.
3Reason for Policy
- Each reagent/instrument combination, or new
instrument family member normally requires a
510(k). - A different process was developed utilizing
existing 510(k) notification procedures to handle
the potential for numerous submissions.
4Rationale Behind The Policy
- There are sufficient controls for these types of
claims and test system modifications when an
acceptable test system validation protocol is in
place. - Add-to-file is an appropriate vehicle to convey
device modification information to the FDA and
comply with the 510(k) regulatory process.
5Replacement Reagent Policy
- Changes since the policy was first implemented,
such as - Quality Systems Regulation (QSR)
- Special 510(k)
- FDAMA
- Clinical Laboratory Improvement Amendments (CLIA)
to FDA.
6Replacement Reagent Policy
- The RR-policy did not and does not apply to
- class III devices
- devices intended for use in support of blood
banking practices - systems intended for over-the-counter (OTC) use
- exempt general purpose reagents.
7Replacement Reagent Policy
- Consult with the appropriate branch chief on
eligibility for assays that could have serious
health risks associated with their use. - SPECIAL 510(k) like the Special 510k the
RR-Policy is intended for modifications to a
previously cleared device. - Use the Special 510(k), when the modified test
system does not meet acceptance criteria of the
validation protocol.
8REAGENTS
- REAGENTS - necessary substances that produce
reactions allowing an analyte to be measured. - Includes calibrator and quality control material.
- GENERIC reagents - are intended to be used
manually, or with any open system. - Laboratories assume responsibility for
performance validation.
9REAGENTS
- OEM reagents - analyzer manufacturers reagents
specifically for their analyzers. - REPLACEMENT reagents - Generic reagents produced
for use with specified analyzers by suppliers
other than an OEM supplier. - Replacement reagents may be marketed and labeled
for one specific analyzer or may claim multiple
analyzers.
10ANALYZERS
- Closed Systems - analyzers and OEM reagents
provided by the same manufacturer and are
configured only to be used in combination with
each other. - Open Systems - analyzers manufactured with
general-purpose features for use only with
"replacement or generic reagents". - Partially Closed System - is a combination of the
above
11ANALYZERS
- Device Family - a group of one or more devices
manufactured by or for the same manufacturer and
having the same - Basic design and performance characteristics
related to device safety and effectiveness, that
share a common Design History File (DHF) - Intended use and function
- Device classification and product code.
12LABELING
- Operator Manual - labeling accompanying
instrument for operating instructions. - Package Insert - reagent labeling which may give
instructions and also refer to an operator manual
for detailed instruction. - Application Sheet typically contains analyzer
settings, volumes, and parameters to assist
laboratories in implementing use of secondary
reagents with a specified open analyzer system.
13OTHER DEFINITIONS
- TEST SYSTEM is comprised of all test components
required to perform an in vitro diagnostic test,
i.e. clinical laboratory analyzer, reagents,
calibrators and controls. - ADD-TO-FILE notification to the original file
of validation protocols and intent to introduce a
reagent on a specific analyzer, or introduce an
new instrument family member based on passing
acceptance criteria in the protocol.
14Equivalent Specifications
- The original policy required the analyzer to be
cleared for each analyte prior to a replacement
reagent claim. - Use on an analyzer requires the analyzer to have
the capability to run the method the assay
utilizes.
15Clarifications
- Class I instruments Class I devices such as many
of these analyzers, are exempt from 510(k). - These analyzers are not exempt, when an
analytical claim is made for a class I reserved
device, by virtue of the limitations to
exemptions under 862.9, 864.9, or a class II
device.
16Clarifications
- These test systems are considered combination
devices "Guidance on the CDRH Premarket
Notification Review Program 6/30/86 Blue Book
Memo (K86-3)" http//www.fda.gov/cdrh/k863.html.
- When any of these analyzers are regulated as a
combination device, the accessory is classified
in the highest of the predicate device
classifications of the system combination.
17Clarifications
- When a replacement reagent claims use on an open
system, the analyzer needs to have a previous
510(k) clearance. - We ask that the reagent manufacturer have the
instrument manufacturer submit a 510(k) for the
instrument with a non-exempt reagent. - The analyzer manufacturer can use any cleared
reagent or can jointly seek clearance for a new
reagent along with the instrument.
18Validation Protocols
- Method comparison, precision, reference range
etc
- All studies listed in the table need to be
addressed in the protocol submitted to the FDA. - If a study is not applicable, a justification
needs to be provided on why the study is not
necessary. - Protocols are accepted based on one-on-one with
the reviewer and may need to be modified. - Some higher risk assays may require some sort of
data.
19Reagent / Instrument Validation Protocols
- Reagents protocols are assay specific.
- Instrument protocols are method specific.
- Protocols are based on studies performed in the
original submission.
20Reagent / Instrument Validation Protocols
- Both replacement reagent and new family member
protocols need predefined acceptance criteria. - Criteria for replacement reagents should be assay
specific, designed to challenge the performance
characteristics. - Criteria for the introduction of a new family
member should be method specific, general enough
to evaluate all analytes within each method, and
designed to challenge the performance
characteristics.
21Software Validation Protocol
- CDRH is concerned that software controlled
medical devices introduced into the market are
manufactured under well-developed software
lifecycle processes. - The software documentation in the original family
clearance serves new family member software
validation protocol and should be certified to.
22Software Validation Protocol
- In order to certify to this protocol you need to
ensure your documentation on file is current - Guidance for the Content of Premarket
Submissions for Software Contained in Medical
Devices (May 29, 1998) http//www.fda.gov/cdrh/
ode/57.html
23Process
24Replacement Reagent Process
- Use the Add-to-file process and submit your
protocol after you receive your primary
clearance. - After your protocol is accepted, notify FDA after
each analyzer has been validated according to the
accepted protocol.
25Replacement Reagent Process
- This notification should include a statement that
abc replacement reagent has been validated on
the XYZ open system analyzer using the
described protocol in K/A submitted on
mm/dd/yyyy. - The notification should also include any
application sheets or specific labeling for the
associated analyzer.
26New Family Member Process
- Submit Protocol for all methods to allow the roll
over of reagents to the new family member. - Validate your new instrument family member.
- Notify FDA of your intent to market your new
instrument family member you validated.
27New Family Member Process
- This notification should include a statement that
abc instrument family member has been validated
using the method and software protocols in
K/A submitted mm/dd/yyyy. - Include a list of all associated reagents and
510(k) numbers intended to be rolled over onto
the analyzer.
28New Family Member Process
- Enough details on the analyzer so FDA can concur
with your family member designation. - These processes can be followed in one
notification for the original 510(k), a Special
510(k) or an Add-to-file. - issues may come up with protocols
29New Reagents For Family Members
- Traditional 510(k) on a representative Family
member analyzer. - Assay specific protocol for this new reagent on
the family member instruments. - Declare validation for all appropriate family
members. - Have all the processes complete at the time of
submission in order to introduce the new reagent
on all family members.
30CLIA Categorization
- All new test system combinations are usually
based on historical information pertaining to the
instrument on which the test system is dependent,
or on past family member categorizations. - However, it is important that all variables are
considered in categorizing a new test system.
31CLIA Categorization
- Notifications will need labeling in sufficient
detail to determine categorization. - Replacement reagents require a package insert.
- New family member require instructions for use
such as an abbreviated operators manual.
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33Questions