Applying the New ISO 10993 - Nelson Labs...medical devices. Meaning, what is the risk of my...
Transcript of Applying the New ISO 10993 - Nelson Labs...medical devices. Meaning, what is the risk of my...
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Applying the New ISO 10993 (Risk-based Approach to Biocompatibility)
Thor Rollins B.S. RM(NRCM)
Director of Toxicology and E&L Consulting
801-290-7832
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Standards for Presentation
ISO 10993 Suite
Standards that cover all testing under “Biological evaluation of medical devices”
US FDA guidance document
“Use of International Standard ISO 10993-1, ‘Biological evaluation of medical devices - Part 1: Evaluation and testing within a risk
management process’” issued June 16, 2016.
©2017 All rights reserved
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CHANGE
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The Years of Change in
Biocompatibility
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The Links
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http://www.fda.gov/downloads/medicaldevices/devic
eregulationandguidance/guidancedocuments/ucm348
890.pdf
http://data.consilium.europa.eu/doc/document/ST-
10728-2016-INIT/en/pdf
https://standards.aami.org/higherlogic/ws/public/dow
nload/11414/Public%20Review%20Draft%20CDV_2%2
010993_1.pdf
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Is Your Backpack Too Full?
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Is biocompatibility really necessary?
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“My device has been on the market for years…”
“We only use biocompatible materials…”
“Our materials are made according to ASTM standards…”
“We did some testing during the device R&D…”
“Our device is only used for 5 minutes…”
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Past Approach
“I don’t have to understand the material's impact on the body.”
“I don’t have to understand the testing” (black box approach)
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Past Approach
Vs.
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Past Approach
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Device
contact Contact
time Perform
tests
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©2017 All rights reserved
Didn’t understand
Materials
Testing
Past Approach
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ISO 10993 is all about RISK
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ISO 10993 is intended as a guidance to determine the potential biological risks arising from the use of
medical devices.
Meaning, what is the risk of my materials and processes
to the patient?
ISO 10993-1: Biological evaluation of medical devices – Part 1: Evaluation and testing within a risk management process
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©2017 All rights reserved
Section III. Risk Management for Biocompatibility Evaluations
“Such a process should generally begin with assessment of the device, including the material components, the manufacturing processes, the clinical use of the device…” Considering this information, the potential risks from a biocompatibility perspective should be identified. Considering the potential biological impact, a plan should be developed … either by biocompatibility testing or other evaluations that appropriately address the risks.
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What is Risk? ISO 14971 Definition: Combination of the probability of occurrence of harm and the severity of that harm.
Incorporating Risk
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Biological Safety Evaluation
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Biological Evaluation Plan
(BEP): What are your risks and how do you plan to mitigate them?
Testing and risk assessments
Biological Evaluation Report (BER): Is the device
safe?
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Biological Evaluation Plan (BEP)
Identify Risks
Use Figure 1 in
ISO 10993-1
The biological evaluation
shall be planned, carried
out, and documented by
knowledgeable and
experienced
professionals.
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Material Evaluation
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Understand your product
Understand changes to your product through its lifecycle
Understand the impact of leachables substances within your product
Can you predict clinical safety from only a few tests conducted on the product
Remember: risks may change over the life of the product
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What Are The Challenges?
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Materials
• New materials
• Leveraged materials
• Material interactions?
• Combination products
Geometry
Patient Contact
Failure Modes (additional exposure?)
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Understand the Product
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Toxicological Safety Assessment
Factors influencing Toxicity within
ISO 10993-1
•Duration of patient exposure
•Patient contact type
•Amount of exposure (the dose makes the poison)
•Increased exposure (leachables & degradants)
•Materials of concern (characterization)
Colors?
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Material or Chemical
Characterization?
“In the selection of materials to be used in device manufacture, the first consideration shall be
fitness for purpose with regard to characteristics and properties of the material, which include chemical, toxicological, physical, electrical, morphological and
mechanical properties.” ISO 10993-1
This is the first step of the ISO 10993 Biocompatibility
process.
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This involves review of the materials of manufacture and not just the finished product.
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Material Characterization
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Involves communication
with suppliers on the component
composition
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Material Characterization
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Material Evaluation
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Materials
• New materials
• Leveraged materials
• Material interactions?
• Combination products
Material Evaluation: Understand the Product
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Material or Chemical Characterization?
“In the selection of materials to be used in device manufacture, the first consideration shall be fitness for purpose
with regard to characteristics and properties of the material,
which include chemical, toxicological, physical,
electrical, morphological and mechanical properties.”
ISO 10993-1
This is the first step of the ISO 10993 Biocompatibility process.
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This involves review of the materials of manufacture and not just the finished product.
Material Characterization
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Medical Device Manufacturers need to have
solid relationships with suppliers and ensure full
disclosure of materials through:
Manufacturing agreements
Composition disclosures
Processing aide and residual chemical
disclosure
Material Safety Data Sheets
(MSDS)
Device Master File
Information availability to the regulatory
authorities
Material Characterization
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New Directives
What‘s New?
• Framework is the same….but the new regulations introduce a considerably more prescriptive requirements in almost every area.
• The 14 Essential Requirements are replaced with 23 General Safety and Performance Requirements with much more detail.
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Software requirements are spelt out indepth including consideration of data privacy and
cybersecurity
Classifications are revised to capture a host of new devices into Class III and introduce special requirements for Class I reusable surgical
instruments.
There are detailed requirements for Risk Management, Postmarket Monitoring and Clinical
Evaluation, and these fundamental aspects of regulation are much more tightly integrated.
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There are new requirements around single use devices and their reprocessing
Custom devices which are mass produced will no longer be exempted from conformity assessment.
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Notified Bodies are no longer contracting partners that allow for collaboration with the medical device industry, including enforcement tasks and extended authorities (e.g. unannounced inspections).
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New FDA Document
Three Categories
Summary Of Ideas
Justification Ideas
Possible Impact
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Summary of Ideas
• Contact includes fluid or gas path (indirect)
• Incorporated parallel standards (ASTM, ISO, OECD, etc)
• FDA does NOT approve individual materials. Only final devices
• Master files – informative “How to” section
• Permanent devices: chronic toxicity and carcinogenicity
• Device failure options should be considered in testing
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Summary of Ideas
• Permanent contact device – extract at 50 C.
– For cytoxicity – 37C for 72 hrs.
• No manipulation of extracts (e.g. filtering or centrifuging)
• Samples for cytotoxicity should be extracted in cell culture media with 5% serum
• Direct circulating blood contact: hemolysis, complement, and thrombogenicity
• Implantation: intramuscular preferred over subcutaneous
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Justification Ideas
• Can weigh benefit of the device to any potential risk associated
• Literature review – apply correct endpoints
• Chemistry testing can be used in place of in vitro/in vivo testing to address
– Systemic toxicity
– Chronic toxicity
– Genotoxicity
– Carcinogenicity
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Justification Ideas
• Functionality tests can incorporate biocompatibility endpoints
• Predicate sample can limit required testing if everything is the same
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Possible Impact
Consider practitioner
contact
Make risk based testing
decisions
Encouraging use of
Master Files
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Possible Impact
FDA recommends to submit a
testing plan to CDRH
BEP
Declaration of conformity,
provide testing that was done
Submit a Biological Evaluation
Report
(i.e. Attachment C)
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Possible Impact
Cytotoxicity samples
may need be
extracted at 72 hours
Complement activation: Just C3A
Pyrogenicity testing for implants includes
BET
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Possible Impact
Genotoxicity does not address carcinogenicity
FDA is expecting chemical
characterization for certain
devices: novel and fluid/gas
path
Changes in table A.1…
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QUESTIONS?
Thor Rollins B.S., RM (NRCM)
Biocompatibility Expert 801-290-7832