radiological devices advisory committee meeting november 18, 2009 john a. delucia icad, inc
Post on 15-Jan-2016
213 Views
Preview:
TRANSCRIPT
Radiological Devices Advisory Committee
Meeting November 18, 2009
John A. DeLuciaiCAD, Inc.
2
Comments
• CAD Guidance• Informed Consent for Image
Collection
3
CAD Guidance – General Comments• We welcome the efforts of FDA in issuing
this guidance– Catalyst for change– CAD manufacturers experiencing gridlock in
FDA review of submissions– iCAD has experienced unreasonable delays in
our submissions– New products and improvements are not
getting to market and our patients in timely manner
• Areas of Concern– The new CAD guidance only addresses new or
significantly modified 510(k) CAD devices and not Class III CAD devices
– Lacks a robust testing and submission paradigm
4
CAD Guidance – 510(k) CAD Devices
• The new CAD guidance1 presents examples where modifications to cleared 510(k) CAD devices may result in new submissions– Focus on testing & clinical considerations and
device classification
• FDA should reference an existing guidance document in the new CAD Guidance– “Deciding When to Submit a 510(k) for a Change
to an Existing Device (K97-1) January 10, 1997”• Detailed flowchart to assess modifications to 510k
devices• The 510(k) holder is best qualified to make this
assessment
1. Draft Guidance for Industry and FDA Staff: Computer-Assisted Detection Devices Applied to Radiology Images and Radiology Device Data - Premarket Notification [510(k)] Submissions
5
CAD Guidance – Class III CAD Devices
• No guidance (paradigm) on when to submit a PMA supplement for Class III devices as there is for 510(k) devices
• The guidance does not answer key concerns of Class III CAD manufacturers:– How to handle incremental changes to
Class III CAD devices?• E.g. Modification to a mammographic CAD
software interface to accept new digital (DR/CR) images with no change to CAD algorithm
6
CAD Guidance – Class III CAD Devices
– For approved CAD devices that do not have reader studies, is standalone testing still acceptable for incremental changes?
– For approved CAD devices with valid reader studies, when do incremental performance changes, demonstrated through standalone testing, trigger another reader study?
• Industry needs a clear paradigm issued in a timely manner to move forward
7
Sample Testing Paradigmfor Approved Class III CAD Devices
Type of Change/Risk
Verification
Testing
Standalone
Testing
Reader
Study
Workflow/Low X
Software Interface/Moder
ate
X X
Core Algorithm/High
X X X
Industry Needs a Testing Paradigm Based on Science, Safety, and Efficacy And Proportional To the Type of Change
8
Informed Consent
• FDA's Investigational Device Regulations are intended to encourage the development of new, useful devices
• Image collection is critical to CAD development– Development, training and testing of the
software algorithm
• There are two types of image collection:– Retrospective – data acquired from existing
or historical clinical case records – Prospective – data acquired concurrently
during patient evaluation & treatment
9
Informed Consent• FDA has consistently maintained that:
– There are no exceptions from the informed consent requirements on the grounds that specimens are not identifiable, AND
– FDA regulations do not allow IRBs to decide whether or not to waive informed consent
• iCAD believes that informed consent should be waived for de-identified retrospective data collection– No/little patient risk, no adverse affect to patient health
information, impractical to collect informed consent– Least Burdensome approach– Further, in our experience there is significant confusion
amongst IRBs on this issue
• FDA should seriously consider exercising enforcement discretion as to the informed consent requirements for de-identified retrospective image collection as they do with in-vitro diagnostic leftover specimens1
1. “Guidance on Informed Consent for In Vitro Diagnostic Device Studies Using Leftover Human Specimens that are Not Individually Identifiable”
10
Summary
• New Guidance – We need clear/concise guidance for all
CAD devices whether new or modified – Acceptable Clinical Testing & Regulatory
Submission Paradigm
• Informed Consent– FDA should exercise enforcement
discretion for informed consent requirements during de-identified retrospective image collection
11
Thank you
top related