The Software Precertification (Pre-Cert) Pilot Program will help inform the development of a regulatory model to assess the safety and effectiveness of software technologies without inhibiting patient access to these technologies.
The FDA envisions that the future regulatory model will provide more streamlined and efficient regulatory oversight of software-based medical devices developed by manufacturers who have demonstrated a robust culture of quality and organizational excellence, and who are committed to monitoring real-world performance of their products once they reach the U.S. market. This proposed approach aims to look first at the software developer and/or digital health technology developer, rather than primarily at the product, which is what we currently do for traditional medical devices.
Because software products can be adapted to respond to glitches, adverse events, and other safety concerns quickly, the FDA is working to establish a regulatory framework that is equally responsive when issues arise to help ensure consumers continue to have access to safe and effective products. In the Pre-Cert program, the FDA is proposing that software products from precertified companies would continue to meet the same safety and effectiveness standard that the agency expects for products that have followed the traditional path to market.
Proposed Key Components:
Excellence Appraisal and Determining Precertification Level:?Identifying the objective criteria and methodology that the FDA will use to pre-certify a company and decide whether a company can keep its precertification status.
The FDA is currently basing the Pilot Program's criteria on five excellence principles: patient safety, product quality, clinical responsibility, cybersecurity responsibility, and proactive culture. The FDA is currently considering two levels of precertification based on how a company meets the excellence principles and whether it has demonstrated a track record in delivering software products.
Review Pathway Determination:?Developing a risk-based framework so that a precertified company can determine the premarket review pathway for their products. Potentially precertified companies could market their lower-risk devices without FDA premarket review or only a streamlined premarket review based on the company's precertification level and?International Medical Device Regulators Forum (IMDRF) risk categorization.
The FDA is planning to leverage the IMDRF framework in determining the risk categorization of a SaMD product, incorporating information about the medical purpose of the SaMD and the seriousness of the medical condition that the SaMD is intended to treat.
The FDA is also considering appropriate means to educate patients and providers about the premarket review and postmarket monitoring obligations for each SaMD risk category.
Streamlined Premarket Review Process:?Identifying the type of information that a precertified company would include in its premarket submission for the FDA to review software products for safety and effectiveness before patients access them.
The FDA is exploring using an interactive streamlined review of a SaMD with information the agency already has gained from the process to precertify a company, and additional information the company would share about the SaMD's product performance, clinical association between the SaMD output and a clinical condition, and safety measures.
Monitoring Real-world Performance:?Identifying the type of information that a precertified company may have access to about how its software product is performing with patients to support the regulatory status of the product and new and evolving product functions.
The FDA is considering how best to work with a company to collect and interpret real-world information about a SaMD and to evolve the product's safety and effectiveness to address any emerging risks. The sources of real world performance data may include information about a user's experience, software performance data, and clinical?outcomes.
What is the Goal of the Pre-Cert Pilot Program?
The goal of the program is to have tailored, pragmatic, and least burdensome regulatory oversight that?assesses?organizations (large and small) to establish trust that they have a culture of quality and organizational excellence such that they can develop high quality SaMD products, leverages?transparency?of organizational excellence and product performance across the entire lifecycle of SaMD, utilizes a tailored streamlined premarket review, and leverages unique postmarket opportunities available in software to?verify?the continued safety, effectiveness, and performance of SaMD in the real-world.
The Software Precertification (Pre-Cert) Program's aims are to:
- Benefit?a participating organization based on its "precertified" status by offering the ability to market lower risk?software as a medical device (SaMD)?without premarket review of individual products, or participate in a streamlined premarket review and opportunities to collect and leverage real-world postmarket data.
- Leverage and use information and data?from all available sources allowing FDA and SaMD manufacturers to be more efficient and streamlined without compromising safety and effectiveness of SaMD products.
- Enable a modern and tailored approach?that allows software iterations and changes to occur in a timely fashion.
- Ensure high-quality software products?throughout the life of the product by enabling companies to demonstrate their embedded culture of quality and organizational excellence.
- Adapt?key elements and measure based on the effectiveness of the program.