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Substantial Equivalence

Submission Types
🇺🇸 USA
Updated 2025-12-26
Quick Definition

Substantial Equivalence is 新しい医療機器が、意図された使用目的と技術的特性の比較に基づいて、合法的に販売されている述語機器と同等に安全で効果的であるというFDAの判断。

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DJ Fang

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Complete Guide to Substantial Equivalence

Substantial Equivalence (SE) is the regulatory standard used by the FDA in the 510(k) premarket notification process to determine whether a new medical device can be marketed in the United States. A finding of substantial equivalence means the new device is at least as safe and effective as a legally marketed device (predicate device) and does not raise different questions of safety and effectiveness.

Legal foundation:

Federal Food, Drug, and Cosmetic Act Section 513(i):
Defines substantial equivalence as the basis for 510(k) clearance.

Purpose of substantial equivalence:
- Provides pathway for moderate-risk devices (Class II and some Class I/III)
- Avoids requiring full clinical trials for similar devices
- Leverages existing safety and effectiveness data from predicates
- Allows incremental innovation while ensuring safety
- Faster and less expensive than PMA (Premarket Approval) pathway

Two pathways to substantial equivalence:

1. Same intended use AND same technological characteristics:
- New device has identical intended use to predicate
- New device uses same or similar technology
- Demonstration of SE through descriptive comparison
- Performance testing may be required
- Easiest path to 510(k) clearance

2. Same intended use BUT different technological characteristics:
- New device has same intended use as predicate
- New device uses different technology or materials
- Must demonstrate that differences do NOT raise new safety/effectiveness questions
- Requires performance data comparing new device to predicate
- More complex 510(k) with additional testing

Intended use comparison:

Intended use must be the same:
The new device and predicate must have the same:
- Therapeutic or diagnostic purpose
- Patient population
- Anatomical site of use
- Clinical indication
- Duration of use

Examples of same intended use:
- Both devices diagnose the same disease
- Both devices treat the same condition
- Both devices monitor the same physiological parameter
- Both devices assist in the same surgical procedure

Different intended use = NOT substantially equivalent:
If intended uses differ, substantial equivalence cannot be claimed, and different regulatory pathway required (De Novo or PMA).

Technological characteristics comparison:

Key technological characteristics include:
- Materials - Polymers, metals, coatings, adhesives
- Design - Configuration, dimensions, components
- Energy source - Electrical, mechanical, thermal, ultrasonic
- Operating principle - Mechanism of action
- Software algorithms - For SaMD and devices with embedded software
- Performance specifications - Accuracy, precision, sensitivity, specificity

Same technological characteristics:
Minor differences acceptable if they don't affect safety or effectiveness:
- Cosmetic changes (color, packaging)
- Labeling clarifications
- Minor dimensional changes
- Component substitution with equivalent performance

Different technological characteristics:
Requires performance data to demonstrate SE:
- New materials (biocompatibility testing)
- Different energy levels (electrical safety, thermal testing)
- Enhanced features (performance comparison)
- Software changes (validation and verification)
- New manufacturing process (process validation)

Performance testing requirements:

When different technological characteristics exist:
Manufacturer must provide data demonstrating:
- New device performs at least as well as predicate
- Differences do not raise new safety questions
- Differences do not raise new effectiveness questions

Types of performance testing:
- Bench testing - Laboratory performance, durability, reliability
- Animal testing - Pre-clinical safety and effectiveness (when needed)
- Clinical testing - Human clinical data (sometimes required)
- Biocompatibility testing - ISO 10993 for body-contacting materials
- Electrical safety - IEC 60601 for active medical devices
- Software validation - IEC 62304 for software-containing devices
- Sterilization validation - ISO 11135/11137 for sterile devices

Clinical data requirements:

When clinical data is needed for SE:
- New intended use or patient population
- Significant technological differences
- Predicate device has limited clinical data
- Device type historically requires clinical data (e.g., certain implants)
- FDA specifically requests clinical data in guidance

Clinical data can be:
- New clinical studies conducted by manufacturer
- Published literature on predicate or similar devices
- Clinical experience data from legally marketed devices
- Post-market surveillance data

Not substantial equivalence - when SE cannot be claimed:

Different intended use:
- New indication or patient population
- Different anatomical site
- Different disease or condition
- Expanded therapeutic claim

Different questions of safety or effectiveness:
- New risks not present with predicate
- New mechanism of action
- Novel technology without predicate
- Significant performance differences

In these cases, alternative pathways required:
- De Novo - Novel, low-to-moderate risk device without predicate
- PMA - High-risk device (Class III) or no SE pathway available
- Humanitarian Device Exemption (HDE) - Rare disease devices

Choosing a predicate device:

Predicate device requirements:
- Legally marketed in the U.S. (not banned or recalled)
- Either:
- Approved via PMA
- Cleared via 510(k)
- On market before 1976 (pre-amendments device)
- Device classification and regulation must be identified

Strategies for predicate selection:

Best predicates:
- Most similar in intended use and technology
- Recently cleared by FDA (within last 5-10 years)
- Well-established with strong safety record
- Detailed publicly available information (FDA database)
- Same device classification and regulation

Multiple predicates:
Manufacturers may compare to multiple predicates:
- One predicate for intended use
- Another predicate for specific technological feature
- Must demonstrate SE to at least one predicate for each aspect
- Strengthens SE argument

Avoiding weak predicates:
- Very old predicates (pre-1976) may have limited data
- Devices with post-market safety issues
- Devices with significantly different technology
- Devices with unclear classification

FDA review and SE determination:

510(k) submission contents:
- Cover letter with SE claim and predicate identification
- Device description (intended use, technology, design)
- Predicate comparison charts (intended use and technological characteristics)
- Performance testing data
- Labeling (instructions for use, product inserts)
- Sterilization and shelf-life information (if applicable)
- Software documentation (if applicable)

FDA review process:
- Administrative review for completeness
- Scientific review by subject matter experts
- Assessment of SE claim and supporting data
- May request additional information (Additional Information request)
- Review timeline: 90 days for standard 510(k), 30 days for expedited

FDA determinations:

Substantially Equivalent (SE):
Device cleared for marketing. FDA issues 510(k) clearance letter.

Not Substantially Equivalent (NSE):
Device cannot be marketed via 510(k). Manufacturer must:
- Choose different predicate and resubmit
- Provide additional performance data
- Pursue alternative pathway (De Novo or PMA)

Special 510(k) and SE:

Special 510(k) Program:
Streamlined review for device modifications where manufacturer uses design controls to demonstrate SE:
- Modifications to manufacturer's own legally marketed device
- Design controls verify SE
- No new intended use
- No new safety or effectiveness questions
- Faster review (30 days)

Abbreviated 510(k) and SE:

Abbreviated 510(k):
Alternative for devices with well-established technology:
- Relies on FDA guidance documents or consensus standards
- Declaration of conformity to standards
- May reduce performance testing burden
- SE still required but demonstrated through standards compliance

Common challenges with SE claims:

Insufficient predicate comparison:
- Vague or incomplete comparison tables
- Missing technological characteristics
- Inadequate discussion of differences

Inadequate performance data:
- Testing doesn't address technological differences
- Small sample sizes or unvalidated methods
- Missing biocompatibility or electrical safety data

Unclear intended use:
- Ambiguous indications for use
- Broader claims than predicate without justification
- Inconsistent labeling

Best practices for demonstrating SE:

Thorough predicate research:
- Review FDA 510(k) database for cleared devices
- Analyze predicate 510(k) summaries (publicly available)
- Understand predicate's intended use and technology
- Verify predicate is legally marketed and not recalled

Detailed comparison:
- Create comprehensive comparison tables
- Address every technological characteristic
- Explain how differences do NOT raise new questions
- Provide clear, factual descriptions

Robust performance testing:
- Test according to FDA guidance and consensus standards
- Use validated test methods
- Include statistical analysis
- Ensure testing addresses each technological difference

Clear and accurate labeling:
- Intended use statement matches predicate
- Claims supported by performance data
- Warnings and contraindications appropriate for device

Proactive FDA communication:
- Consider Pre-Submission meeting to discuss SE approach
- Address anticipated FDA questions upfront
- Provide complete information in initial submission

Substantial Equivalence is the cornerstone of the 510(k) pathway, balancing patient safety with innovation and market access. A well-supported SE claim with appropriate predicate selection and comprehensive performance data is key to successful FDA clearance.

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