Explore the unique challenges and considerations of SaMD development.
Software as Medical Devices (SaMD’s) have continued to grow exponentially. While developing embedded hardware and software development may be on the rise, there are various teams who find themselves in numerous pitfalls because they misguidedly fail to pay attention to regulatory boundaries imposed by organizations like the FDA.
Different approaches to SaMD development can come with challenges for not only engineers but entire development teams. We are going to illustrate a few successful tactics as well as dangers from SaMD development projects.
In this blog we will explore:
The Role of Design Controls
Consolidating a strategy around strong design controls prevents delayed time-to-market. As the product awaits FDA clearance/approval, irregularities in areas like product definition or testing can further distort product development timelines. Many developers find themselves having to wrestle with regulatory compliance because they can’t check all the requirements under design controls.
21 CFR Part 820 is a vital regulation by the FDA and should be on your development team's radar.
If you haven’t you can check out our blog “What is CFR Part 820?” to learn more.
Under 21 CFR 820, there is a section (820.30) which dictates that user needs must be fulfilled solely by the medical device that is in development. Your team can ensure it is following this subsection of the regulation by:
21 CFR Part 820.30 calls for stringent documentation which is known as implementing "design controls”. In other words, design controls are meant to enforce documentation of any product definitions, reviews, approvals, or updates. The level of simplicity and straightforwardness, design controls will be easier to implement into the final product. It is important to note that if design controls are implemented too early in the process may result in loops of rework later in the design process.
Below we have illustrated a few successful tactics as well as dangers from SaMD development projects:
How a QMS Can Help
FDA 21 CFR 820 mandates that medical device documentation be maintained and that changes in policy or procedure be recorded. A Quality Management System (QMS) will help you with the recording and documentation of all the processes mentioned above facilitating compliance with FDA 21 CFR Part 820.
Navigating the complexity of the regulatory industry can truly be made simple, and all of the weight should not fall on your shoulders. There are resources and tools, such as a QMS, that make your journey to market smooth and stress-free.
Sierra Labs Quality Management System, Sierra QMS, has helped multiple medical device companies implement proper implements management, document, and design controls. With our easy-to-use software, your quality manager will effortlessly access and reference the materials to perform their role. Above all of this, Sierra QMS is designed and aligned with current FDA guidance serving as an optimal compliance solution.