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The 10th Annual Traumatic Brain Injury Conference
2020-06-01 - 2020-06-02    
All Day
Arrowhead Publishers is pleased to announce its 10th Annual Traumatic Brain Injury Conference will be coming back to Washington, DC on June 1-2, 2020. This conference brings [...]
5th World Congress On Public Health, Epidemiology & Nutrition
2020-06-01 - 2020-06-02    
All Day
We invite all the participants across the world to attend the “5th World Congress on Public Health, Epidemiology & Nutrition” during June 01-02, 2020; Sydney, [...]
Global Conference On Clinical Anesthesiology And Surgery
2020-06-04 - 2020-06-05    
All Day
Miami is an International city at Florida's southeastern tip. Its Cuban influence is reflected in the cafes and cigar shops that line Calle Ocho in [...]
5th International Conferences On Clinical And Counseling Psychology
2020-06-09 - 2020-06-10    
All Day
Conferenceseries LLC Ltd and its subsidiaries including iMedPub Ltd and Conference Series Organise 3000+ Conferences across USA, Europe & Asia with support from 1000 more scientific societies and Publishes 700+ Open [...]
50th International Conference On Nursing And Healthcare
2020-06-10 - 2020-06-11    
All Day
Conference short name: Nursing Conferences 2020 Full name : 50th International conference on Nursing and Healthcare Date : June 10-11, 2020 Place : Frankfurt, Germany [...]
Connected Claims USA Virtual
The insurance industry is built to help people when they are in need, and only the claims organization makes that possible. Now, the world faces [...]
Federles Master Tutorial On Abdominal Imaging
2020-06-29 - 2020-07-01    
All Day
The course is designed to provide the tools for participants to enhance abdominal imaging interpretation skills utilizing the latest imaging technologies. Time: 1:00 pm - [...]
IASTEM - 864th International Conference On Medical, Biological And Pharmaceutical Sciences ICMBPS
2020-07-01 - 2020-07-02    
All Day
IASTEM - 864th International Conference on Medical, Biological and Pharmaceutical Sciences ICMBPS will be held on 3rd - 4th July, 2020 at Hamburg, Germany . [...]
International Conference On Medical & Health Science
2020-07-02 - 2020-07-03    
All Day
ICMHS is being organized by Researchfora. The aim of the conference is to provide the platform for Students, Doctors, Researchers and Academicians to share the [...]
Mental Health, Addiction, And Legal Aspects Of End-Of-Life Care CME Cruise
2020-07-03 - 2020-07-10    
All Day
Mental Health, Addiction Medicine, and Legal Aspects of End-of-Life Care CME Cruise Conference. 7-Night Cruise to Alaska from Seattle, Washington on Celebrity Cruises Celebrity Solstice. [...]
ISER- 843rd International Conference On Science, Health And Medicine ICSHM
2020-07-03 - 2020-07-04    
All Day
ISER- 843rd International Conference on Science, Health and Medicine (ICSHM) is a prestigious event organized with a motivation to provide an excellent international platform for the academicians, [...]
04 Jul
2020-07-04    
12:00 am
ICRAMMHS is to bring together innovative academics and industrial experts in the field of Medical, Medicine and Health Sciences to a common forum. All the [...]
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Connected Claims USA Virtual
23 Jun 20
London
Events on 2020-06-29
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Articles

FDA’s enforcement discretion for digital health is more ambiguous than ever in 2021

fda enforcement report

FDA’s enforcement discretion for digital health is more ambiguous than ever in 2021

Industry regulatory leaders outline the best approaches for digital health companies looking to make sense of FDA’s long-in-the-tooth enforcement discretion guidelines.

The digital health ecosystem has swelled to encompass a broad range of products over the years.

On one end of the spectrum is software-as-medical-devices (SaMD) and prescription digital therapeutics, product categories for which a comprehensive regulatory strategy and engagement with the FDA are mandatory. On the other are wellness apps and other low-risk digital tools that likely spend more time worrying about oversight from the Federal Trade Commission than the health regulator.

However, a growing number of companies are finding themselves in a gray area of enforcement discretion, a term the FDA uses for lower-risk products that meet the definition of a medical device, but do not require regulatory submission, review and authorization before heading to market.

“Enforcement discretion doesn’t mean no regulation,” Ankur Kaushal, VP of regulatory affairs and quality at Big Health, said yesterday in DTx West virtual panel. “It doesn’t mean that the FDA is no longer in your life. The FDA is very much there. Regulations are still very much present.

“FDA is choosing to enforce them in a very hands-off manner, and so, instead of getting clearances and approvals, you’re able to move forward by internally building evidence that you are complying.”

Still, securing a 510(k) for a new product can be costly and time consuming (especially for early startups), so there’s clear appeal in the idea that a product can sidestep active regulation and enter the market.

The problem is that enforcement discretion on the whole can be ambiguous when dealing with novel products that the agency may not have foreseen when putting together its initial guidelines years ago, the panelists said.

While the FDA has made some progress in recent months by publishing action plans specific to new technologies like artificial intelligence and machine learning, issues like the COVID-19 public health emergency and new policies regarding modifications to current products have driven home the need for more guidance from the regulator.

“The principles of enforcement discretion have been outlined for some time, but I think there has been a need for increasing regulatory clarity over the past couple of years,” Marisa Cruz, EVP of regulatory and clinical affairs at Everlywell, and formerly a senior medical advisor for digital health at FDA’s Center for Devices and Radiological Health (CDRH), said during the panel.

“There’s many more companies that have been touched by this distinction between active regulation and enforcement discretion, and I think the agency has tried to support that broader reach of enforcement discretion policies with more active articulation of what enforcement discretion really means. … It’s still evolving, and I think it’s still spotty as to the consistency of how these policies are applied, and how companies are interpreting ways to distinguish products that are the focus of regulation from those that are under enforcement discretion.”

Even if clear playbooks are in short supply, companies that fall above or below the line of enforcement discretion will still be responsible and must maintain the burden of proof for their products, Kaushal noted. Decision-makers are best served by solidifying their ideal digital product, he said, and then letting the regulatory team hammer out what’s necessary before heading to market.

“Do not let regulatory strategy drive business strategy,” he said. “It should be the other way around. You should go for the best intended use that you can, and then allow your regulatory team to devise a strategy that meets it, and not get too focused on maintaining this enforcement discretion status and then losing out on perhaps a better intended use.”

Once it’s time for the regulatory team to step up, adhering to those rough guidances will require a delicate balance of interpretation, diligence and good science, the panelists said.

“I come at it from a clinical operations and research design perspective,” Acacia Parks, chief science officer at Happify Health, said. “There are certain ways you have to interpret and document ‘We’re doing this,’ and it’s just your best guess of what it’s okay to do. And you have to live with that – which is very different in my experience from going to FDA about a product you’re hoping to get cleared and getting specific guidance about what you need to do.”

“I think that’s 100% right, [with] the North Star being safety,” Lucia Savage, chief privacy and regulatory officer at Omada Health (and formerly the chief privacy officer at ONC), added. “There’s some fundamental philosophical approaches here, and one is don’t cut corners that are going to potentially harm patients. Document why you’re doing something that you’re doing and how it’s connected to good science. Those are going to be fundamentals no matter what kind of digital [you’re doing].

“We have a digital service at Omada and we use other people’s devices. We don’t manufacture any devices ourselves and we’re not subject to CDRH oversight. We don’t want to go there as a business, and until we do, my job is to keep us out of that. But that doesn’t mean that we can stop documenting what’s clinically appropriate,” she said.

Documentation and other regulatory best practices can become particularly tricky once multiple products become involved – and especially when those products fall within different risk categories, as Parks noted is the case for Happify Health. In these scenarios, she said that every department – regulatory, clinical operations, business and so on – needs to “place a stake in the ground” when it comes to defining and conducting the product and its procedures.

“That’s a really big area of conversation for us, just making sure that … when we do it in a wellness space versus when we do it in enforcement discretion, how is that clearly different, and can we define and document those differences and have different procedures” she said. “Product differentiation: it’s important for everybody, but particularly if you’re doing them side by side.”

Of course, not all startups have the benefit of an experienced regulatory guru or other digital health veterans who can intuit the FDA’s enforcement discretion guidances. Early-stage companies that haven’t yet internalized these concepts of documentation and transparency should take an “engage early and engage often” approach with the FDA, Cruz said. These conversations can help newcomers adopt appropriate practices early in the product’s lifecycle, regardless of whether or not they’ll eventually require a regulatory submission.

“The sense that you got it wrong, that the agency didn’t know about it, that there were no conversations, can sometimes poorly position a startup company, whereas I think proactive engagement (‘This is my plan. Do you agree with the concept? We’ll keep you apprised as things change.’) can be a foundation for a more productive relationship,” she said.