Regulatory Open Forum

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  • 1.  Discontinue medical device

    Posted 16-Nov-2015 14:37

    Hello all, 

    My company has a Medical Device that we are discontinuing due to Business decision. I did not see much of the FDA website regarding this. Can you please provide some education what needs to be done in terms of regulatory. Also, the device does not have a expiration date. How long do we need to keep the complaint system open to accommodate users? 

    Best, 

    SKH

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    Sartaj Kaur-Hurrle
    San Diego CA
    United States
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  • 2.  RE: Discontinue medical device

    Posted 17-Nov-2015 08:04

    I'm following as we have a device that is not regulated and are considering discontinuing so i would like to see what is said. 

    I do know one thing, you say the device does not have an expiry date but does it have an expected lifetime?  I believe that you would need to keep any systems that support that device open for as long as the lifetime of the device.

    ------------------------------
    Keri Froese RAC
    Quality Assurance Manager
    Ottawa ON
    Canada



  • 3.  RE: Discontinue medical device

    Posted 17-Nov-2015 10:20

    Keri,

    I am not certain what you mean by "device that is not regulated". Is it a medical device that is under enforcement discretion or does it not meet the definition of a medical device per §201(h)? If it is not a medical device, FDA does not have jurisdiction on regulating the device. If it is a device but under enforcement discretion, then it may have been listed by your company previously and hence will need to be removed from the listed devices under your establishment registration. If it was not listed, then again you may have no impact to FDA.

    Manan

    ------------------------------
    Manan Hathi RAC, ASQ CQE
    Staff, Regulatory Affairs Specialist
    Stryker Communications
    Flower Mound TX
    United States



  • 4.  RE: Discontinue medical device

    Posted 17-Nov-2015 10:13

    Hello!

    Is your company planning to obsolesce the device entirely or would it still be serviced if a device in the field needs technical support? If it is still being serviced, it could be argued that the device is still under "commercial distribution" and hence will have no impact of device registration and listing. If it will not even be serviced anymore, then from an FDA perspective you will need to remove the device from your registration and listing database. Depending on the class of the device, it may have been published to GUDID as well. In which case, you will need to end-date the device in the GUDID database. Other than that, there will be no other "notification" required to FDA.

    In terms of complaint handling/record keeping, the requirement is to maintain records for the duration of the "expected life" of the device. The expected life is defined in the design history file as the length of time the device may be expected to remain operational in the field. This is different from "shelf life" which you allude to in your expiration date comment.

    Hope this helps!

    Manan

    ------------------------------
    Manan Hathi RAC, ASQ CQE
    Staff, Regulatory Affairs Specialist
    Stryker Communications
    Flower Mound TX
    United States



  • 5.  RE: Discontinue medical device

    Posted 17-Nov-2015 13:53

    Thank you for your input. It is a Medical Device class II

    ------------------------------
    Sartaj Kaur-Hurrle
    San Diego CA
    United States



  • 6.  RE: Discontinue medical device

    Posted 17-Nov-2015 11:22
    Sartaj,

    "we are discontinuing due to Business decision"

    I construe your term "discontinue", meaning your firm has no further intent to distribute the device (e.g., no longer held or offer for sale) unless and until otherwise informed. 

    If I interpreted your firm's intent correctly, it doesn't invoke "commercial distribution" pursuant to FDCA or 21 CFR Part 807

    -360 views-

    1. Deal with FDA R/L (a firm doesn't want to entertain an FDA inspection for devices that they no longer distribute).
    2. Notify your customers (it is important to do it right when we end any services or anything including devices)
    3. Data/record retention (21 CFR 820.180(b))
    4. Determine if the device may/can affect other device distribution and/or functions
    5. Legal issues (liability) - review all of your service contracts/agreements
    6. Any administrative issues with the State or any governing body
    7. Resolving and clearing any database issues
    8. Your internal policy (if any) for ending the device's life cycle

    Please ensure an "adequate" documentation and have a cross-functional team discussion! 

    If you feel nervous, you may choose to contact us (Regulatory Doctor).

    Thank you.  

    s/ David
    ____________________________________________________________
    Dr. David Lim, Ph.D., RAC, ASQ-CQA 
    President and CEO | REGULATORY DOCTOR and GCS
    Phone (Toll-Free): 1-(800) 321-8567


    "Knowledge is power only when it is practiced and put into action." - Regulatory Doctor

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  • 7.  RE: Discontinue medical device

    Posted 18-Nov-2015 12:28

    Sartaj

    Full disclosure, I am not familiar with Mr. Lim, but his response is much more comprehensive and addresses the key areas you should focus on with respect to the FDA.  Also, has your device been distributed OUS either through CE, local registrations, or CFG?  If so, you would want to follow the checklist Mr. Lim provided for those areas as well.  The biggest issue is to manage risk after production has ceased.

    Larry

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    Larry Lugo
    Carlsbad CA
    United States



  • 8.  RE: Discontinue medical device

    Posted 10-Feb-2016 17:02

    Are there specific EU requirements to discontinue a CE marked medical device product?

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    Ninad Gujar
    Danvers MA
    United States