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I am pleased to report that the Food and Drug Administration (FDA) continues to make good progress in implementing the Medical Device User Fee and Modernization Act of 2002 (MDUFMA) and that FDA's performance through FY 2005 is consistent with the comprehensive and challenging performance goals of MDUFMA.
MDUFMA requires close collaboration with stakeholders and increased communication with applicants. FDA is working to clarify its regulatory requirements and make its decisions more transparent through new guidance, educational materials, and meetings. We continually seek to reduce the burdens associated with device reviews and to improve the efficiency and flexibility of our review processes. These efforts help applicants improve the quality of their submissions, and help FDA provide more rapid, better-focused reviews. Our ultimate objective - an objective we believe we share with industry - is to make important new medical devices available to patients and health care providers earlier, while continuing to ensure the quality, safety, and effectiveness of those devices.
I am proud of the significant progress FDA has made in meeting the challenges and responsibilities provided by MDUFMA. I believe the results we have achieved through FY 2005, and the long-term objectives we continue to pursue, clearly demonstrate the value of this important legislation to FDA, to the medical device industry, and, particularly, to patients and health care professionals.
Andrew von Eschenbach, M.D.
Acting Commissioner of Food and Drugs
On October 26, 2002 , the Medical Device User Fee and Modernization Act of 2002 (MDUFMA) was signed into law. MDUFMA amends the Federal Food, Drug, and Cosmetic Act (FD&C Act) to authorize the Food and Drug Administration (FDA) to collect user fees from manufacturers who submit certain applications to market medical devices. In exchange for this authority, MDUFMA requires that FDA pursue a comprehensive set of review performance goals and commitments to improve the timeliness and predictability of medical device reviews.
FDA has made good progress in implementing MDUFMA and is making satisfactory progress towards achieving the performance goals set under MDUFMA. FDA has worked hard to communicate the new requirements and challenges of MDUFMA to its stakeholders. FDA has worked with its stakeholders to ensure that the implementation of the new law proceeds smoothly. FDA is confident that the implementation of MDUFMA will result in significant benefits to industry, health care professionals, and, most importantly, patients.
FY 2005 Activities
FDA continued to focus on consulting with its stakeholders, developing guidance documents, and designing and building the new review processes and process improvements required to meet MDUFMA's challenging performance goals. Among the key activities during FY 2005 were:
Overall Performance
FDA's overall performance to date for the FY 2003, FY 2004, and FY 2005 receipt cohorts is consistent with the expectations for the device review program agreed to by FDA, industry stakeholders, and Congress. Of the 24 quantifiable performance goals that were in effect for the FY 2003 through FY 2005 cohorts, FDA's performance to date is meeting or exceeding 18 goals and is not meeting 3 goals; the remaining 3 goals have not yet had any actions to measure. [3]
MDUFMA Commitments: Goals and Approaches
FY 2005 Activities and Accomplishments
Overview of MDUFMA Performance, FY 2003 through FY 2005
Implementation Plans for FY 2006
Report on FY 2005 MDUFMA Performance
PMAs, Panel-Track PMA Supplements, and Premarket Reports
510(k) Premarket Notifications
Resubmitted BLAs and BLA Efficacy Supplements
Additional MDUFMA Performance Commitments
Appendices
Appendix A: November 14, 2002 , Commitment Letter from HHS Secretary Thompson to Congress
Appendix B: Measuring Performance Under MDUFMA
Appendix C: Summary of MDUFMA's Quantitative Goals
Appendix D: Glossary
Appendix E: Summary of Footnotes
. . . prompt approval and clearance of safe and effective devices is critical to the improvement of the public health so that patients may enjoy the benefits of devices to diagnose, treat, and prevent disease . . .
— Section 101(1) of the Medical Device User Fee and Modernization Act of 2002.
On October 26, 2002 , MDUFMA was signed into law. MDUFMA amends the FD&C Act to authorize FDA to collect fees from companies who submit certain applications for marketing of medical devices. In return, MDUFMA requires FDA to pursue a comprehensive set of device review performance goals that are intended to significantly improve the timeliness and predictability of FDA's review of new devices. [4] These performance goals were developed collaboratively and are defined in the Department of Health and Human Services (HHS) Secretary Thompson's November 14, 2002 , letter to Congress. [5]Information about MDUFMA, including the text of the amendments and the performance goals and procedures, can be found at www.fda.gov/oc/mdufma.
MDUFMA requires the Secretary to submit two annual reports to Congress for each fiscal year fees are collected: 1) a performance report due within 60 days of the end of the fiscal year, and 2) a financial report due within 120 days of the end of the fiscal year. This report is FDA's third annual performance report on its progress in achieving MDUFMA's performance goals and additional commitments, and covers actions through FY 2005.
On April 1, 2004 , MDUFMA was amended and expanded by the Medical Device Technical Corrections Act (MDTCA), P.L. 108-214. MDTCA amends MDUFMA to clarify Congress's intent and to improve and expand upon some features of MDUFMA. These changes did not affect the performance goals FDA is pursuing under MDUFMA.
On August 1, 2005, the Medical Device User Fee Stabilization Act of 2005 (the "Stabilization Act"), P.L. 109-43 amended provisions of the Federal Food, Drug, and Cosmetic Act relating to medical device user fees and device labeling. FDA has agreed to keep in place the specific performance goals defined in section I, paragraphs A through H of FDA's November 14, 2002 , commitment letter to Congress.
MDUFMA was signed into law on October 26, 2002 , amending the FD&C Act to provide FDA important new responsibilities, resources, and challenges. The goal of MDUFMA is to better serve the public health by providing additional funds to FDA for "the process for the review of devices and the assurance of device safety and effectiveness so that statutorily mandated deadlines may be met." The user fees provided by MDUFMA, and the additional appropriations that go with the new law, will provide the following significant benefits:
The majority of devices associated with MDUFMA are reviewed by CDRH. However, a number of devices that are critical to ensuring the safety, purity, and potency of biologic products, including assuring the safety of our nation's supply of blood and human tissue products, are reviewed by CBER. Additionally, CBER regulates diagnostic tests for retroviruses, including HIV, as well as devices used in cell and gene therapies. An Intercenter Agreement between CBER and CDRH discusses the types of devices regulated by CBER (available at www.fda.gov/oc/ombudsman/bio-dev.htm ).
This report is concerned primarily with the performance goals that are an integral part of MDUFMA. FDA has prepared a summary of MDUFMA, including information on topics not covered by this report; see www.fda.gov/cdrh/mdufma/mdufmasummary.pdf. FDA also prepares an annual financial report that provides information on review fee revenues and expenses and compliance with MDUFMA requirements concerning the collection and use of those fees; the current and past reports are available at www.fda.gov/oc/mdufma/.
MDUFMA has three particularly significant provisions related to FDA performance:
MDUFMA made several other significant changes, including:
Performance goals increased in number, complexity, and difficulty beginning in FY 2005. Few objectively-measurable goals were applied during FY 2003 and FY 2004, allowing FDA time to hire staff, build infrastructure, provide guidance to industry, and take other actions to implement the new law. More goals go into effect each year from FY 2006 through FY 2007, and the goals become more demanding each year. FDA must continually improve its processes and performance if it is to meet these performance goals (see Appendix C for an overview of MDUFMA's objectively-measurable performance goals).
In addition to authorizing FDA to collect user fees for medical device applications, MDUFMA established review performance goals for FDA. These goals are intended to achieve progressive, year-by-year, improvements in review processes for medical devices. The performance goals recognized that FDA would need a 2-year start-up period (FY 2003 through FY 2004) to hire and train new staff and rebuild review program infrastructures before it would be possible to begin to make substantial progress in improving overall review performance. Consequently, most substantive review performance goals went into effect in FY 2005. User fees, coupled with additional appropriations from Congress, will help FDA more efficiently and more quickly make safe and effective medical devices available to the public.
FDA made steady progress in implementing MDUFMA in FY 2005. FDA continued to focus on consulting with its stakeholders, developing guidance documents, and building the new review processes and process improvements required to meet MDUFMA's progressively challenging performance goals. Among the key activities and accomplishments during FY 2005 were:
• Steady progress in meeting MDUFMA performance goals . FDA is meeting, or is on track to meet, nearly all of the performance goals for FY 2003, FY 2004, and FY 2005 receipt cohorts.
• Guidance documents. FDA issued six MDUFMA guidance documents during FY 2005; four provided new guidance and two provided updated editions of earlier guidance.
- Implementation of the Inspection by Accredited Persons Program Under The Medical Device User Fee and Modernization Act of 2002; Accreditation Criteria (October 2004).
- Resolution of Disputes Concerning Payment or Refund of Medical Device User Fees Under MDUFMA (November 2004).
- Application User Fees for Combination Products (April 2005).
- FY 2006 MDUFMA Small Business Qualification Worksheet and Certification (August 2005; replaces guidance for FY 2005).
- How to Write a Request for Designation (RFD) (August 2005).
- Requests for Inspection by an Accredited Person under the Inspection by Accredited Persons Program Authorized by Section 201 of the Medical Device User Fee and Modernization Act of 2002 (revised edition, September 2005).
• Stakeholder communication and consultation. FDA expanded its outreach to stakeholders, providing additional information through the MDUFMA Internet site (www.fda.gov/cdrh/mdufma ), FDA presentations at industry and professional meetings, and quarterly meetings with stakeholders. In November 2004, FDA held its Annual Stakeholder Meeting to report on the implementation of MDUFMA and to hear directly from stakeholders.
• Public notification. FDA published 13 Federal Register notices to provide essential information to stakeholders on new guidance documents, proposed rules, regulatory actions, user fees, and other topics, and to also request comments and suggestions from stakeholders.
• Reports to Congress . FDA submitted reports to Congress on FDA's implementation of MDUFMA performance goals through FY 2004, MDUFMA finances through FY 2004, and on the operations of FDA's Office of Combination Products during FY 2004. In September 2005, the U.S. Government Accountability Office (GAO) also reported to Congress on FDA's implementation of MDUFMA. 1
• Effort applied to MDUFMA activities (the process for the review of device applications). During FY 2005, the Center for Devices and Radiological Health (CDRH) applied approximately 950 full-time equivalents (FTEs) to the process for the review of device applications, 135 FTEs more than FY 2004, and 220 FTEs more than FY 2002 (just prior to enactment of MDUFMA). During FY 2005, the Center for Biologics Evaluation and Research (CBER) applied approximately 80 FTEs, an increase of 14 FTEs over FY 2004 and approximately 33 FTEs over FY 2002.
A preliminary performance assessment from FY 2003 through FY 2005 indicates that FDA is meeting or exceeding most of the MDUFMA performance goals for submissions subject to MDUFMA goals (see table below). This assessment is based on data through September 30, 2005 , and will be updated for each cohort on an annual basis. [7] The next section of this report, entitled "Report on FY 2005 MDUFMA Performance," presents a description of the review performance goals for each submission type, an overview of the workload, and an assessment of FDA's performance in meeting the goals.
During FY 2005, FDA expanded its efforts, through employee hiring, training, guidance development, electronic tracking/review system expansion, and outreach, to improve the timeliness and efficiency of medical device review programs and build FDA's capacity to meet the more challenging goals set for FY 2006 and FY 2007. Among the key MDUFMA activities scheduled for FY 2006 are:
• Increased performance expectations. During FY 2006, six additional MDUFMA performance goals will go into effect, including goals for FDA decisions on PMAs and panel-track PMA supplements and all of the review goals for BLAs, BLA efficacy supplements, and BLA manufacturing supplements that require prior approval. Sixteen current performance goals will have higher performance level thresholds. Only two FY 2006 goals will have the same performance expectations as FY 2005.
• Modular reviews . The modular review program, currently restricted to premarket applications, will be extended to panel-track PMA supplements, and FDA will work with stakeholders to develop performance goals for modular reviews.
• Pre-approval inspections. FDA will issue guidance explaining how pre-approval inspections may be completed in considerably less time.
• Guidances. FDA will provide more substantive guidance on how third-party inspections are to be conducted. Additional guidance documents will be prepared; information on these and other efforts will be available on FDA's MDUFMA Internet site at www.fda.gov/cdrh/mdufma/.
• " Follow-on" licensed devices . FDA will determine whether it is feasible to identify a category of "follow-on" licensed devices. If it is feasible to identify "follow-on" licensed devices, FDA will then determine whether specific performance goals appear to be appropriate for the review of such devices. If specific performance goals are appropriate, FDA will work with stakeholders to define and implement appropriate goals for reviews.
This report presents FDA's performance on MDUFMA performance goals and commitments in FY 2005. Additionally, performance information presented in FDA's previous MDUFMA performance reports has been updated to include additional actions FDA completed during FY 2005. All performance data in this section reflects all FDA actions through September 30, 2005 .
Performance goals. MDUFMA requires that FDA meet two types of performance goals:
• Cycle goals . A cycle goal is a goal on a specified action that precedes a final action on the submission.
Example : One of the goals for Expedited PMAs in the FY 2005 receipt cohort calls for FDA to issue 70 percent of "first action major deficiency letters" within 120 days. A major deficiency letter is not a final action; the applicant can continue the review by preparing and submitting an amendment that addresses the deficiencies identified in FDA's major deficiency letter.
• Decision goals . A decision goal, on the other hand, is a goal on a final action, ending the review process.
Example : One of the goals for 510(k) premarket notifications in the FY 2005 receipt cohort calls for FDA to make 70 percent of "FDA decisions" within 90 days. FDA decisions for 510(k)s are "substantially equivalent" (SE) and "not substantially equivalent" (NSE) decisions. An SE or NSE decision ends the 510(k) review process.
Additional commitments. In addition to the performance goals, MDUFMA holds FDA to several commitments related to the medical device review process. These include, for example, programs and activities related to the application of user fee revenues, guidance development for the modular PMA review program, [9] and examination of FDA's bundling policy. [10]
Measuring performance. [11] Progress on MDUFMA's performance goals and commitments is measured in different ways, based on the type of goal or commitment. The following types of measures are used to capture FDA's progress on meeting MDUFMA's performance goals and commitments:
• Quantitative measures . MDUFMA's performance goals (cycle and decision goals) are quantifiable; that is, progress can be measured and described primarily through standard statistics (for example, number of submissions, mean review time, median review time, and percent meeting a review time standard).
• Descriptive measures . Alternatively, some MDUFMA commitments are more descriptive in nature. For example, progress is reported through narrative accounts outlining specific actions taken, in addition to any results attributed to those actions.
Receipt cohort . Review performance statistics are based on a receipt cohort. This methodology calculates performance statistics for the year submissions were received, regardless of when FDA acted on the submissions. A result of this approach is that the statistics shown for a particular year may change from one report to the next. This is because as time passes, FDA continues to complete work on submissions within a cohort. As more submissions are completed, the statistics for that year of receipt must be adjusted to reflect the new completions. Until all submissions in a cohort receive a final decision, only a preliminary performance assessment can be provided for that cohort.
The table below summarizes the annual review time goals for Premarket Approval Applications (PMAs), Panel-track PMA supplements, and Premarket Reports. In FY 2003, the cycle goal of reviewing 90 percent of amendments containing a complete response to an "approvable" letter within 30 days became effective. Four additional cycle goals became effective in FY 2005 with the performance levels increasing incrementally through FY 2007. One new decision goal will become effective in FY 2006.
| Goals | Review Time Goal | Performance Level | ||||||
|---|---|---|---|---|---|---|---|---|
| FY 03 | FY 04 | FY 05 | FY 06 | FY 07 |
||||
| Decision | Make an "FDA decision" | 320 days | No Goal | No Goal | No Goal | 80% | 90% | |
| Cycle | Issue a "major deficiency" letter as the first action | 150 days | No Goal | No Goal | 75% | 80% | 90% | |
| Issue all other first actions | 180 days | No Goal | No Goal | 75% | 80% | 90% | ||
| Issue a "major deficiency" letter as the second or later action | 120 days | No Goal | No Goal | 75% | 80% | 90% | ||
| Act on an amendment containing a complete response to a "major deficiency" or "not approvable" letter | 180 days | No Goal | No Goal | 75% | 80% | 90% | ||
| Act on an amendment containing a complete response to an "approvable" letter | 30 days | 90% | ||||||
| The total number of PMA and Panel-track PMA supplements submitted in FY 2005 increased, reaching a three-year high. [12] The total number of amendments to the FY 2003 and FY 2004 MDUFMA cohorts was the same (see graph to the right and table below) . [13] | D |
| PMAs, Panel-track PMA Supplements, and Premarket Reports | |||||
|---|---|---|---|---|---|
| Type | FY 03 | FY 04 | FY 05 | FY 06 | FY 07 |
| Submissions | 50 | 48 | 53 | -- | -- |
| Amendments [13](major deficiency / approvable) | 27 (25/2) | 27 (26/1) | 3 (3/0) | -- | -- |
First Action Letters. FDA issued all first action letters for the FY 2003 and FY 2004 cohorts and over two-thirds (37 of 53) of first action letters for the FY 2005 cohort (see table below). Preliminary performance for the FY 2005 cohort indicates FDA is exceeding the MDUFMA performance goal for issuing a "major deficiency" as a first action (92 percent on time) and for issuing all other first action letters (100 percent on time). [14] With first action letters still pending, but not overdue as of September 30, 2005 , it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number onTime / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Issue a "major deficiency" letter as the first action | 150 days | 2003 | Y | 22 / 26 | 85% | No Goal |
| 2004 | Y | 23 / 28 | 82% | No Goal | ||
| Issue all other first actions | 180 days | 2005 | N | 22 / 24 | 92% | 75% |
| 2003 | Y | 23 / 24 | 96% | No Goal | ||
| 2004 | Y | 19 / 20 | 95% | No Goal | ||
| 2005 | N | 13 / 13 | 100% | 75% |
Second or Later Actions. FDA issued second or later actions for two submissions for the FY 2003 cohort and four each for the FY 2004 and FY 2005 cohorts (see table below). While FDA is meeting the MDUFMA performance goal for issuing a "major deficiency" letter as the second or later action based on the number of actions completed, the limited number of actions does not serve as a useful indicator for preliminary performance. [14] FDA may still issue additional letters for the FY 2005 cohort; therefore, it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Issue a "major deficiency" letter as the second or later action | 120 days | 2003 | N | 2 / 2 | 100% | No Goal |
| 2004 | N | 4 / 4 | 100% | No Goal | ||
| 2005 | N | 3 / 4 | 75% | 75% |
Amendments. FDA reviewed and acted on all amendments received for the FY 2003 through FY 2005 MDUFMA cohorts (see table below).
"Major Deficiency" or "Not Approvable" Letters. Three amendments containing a complete response to a "major deficiency" or "not approvable" letter from the FY 2005 MDUFMA cohort were acted on within the review time. While FDA has met the MDUFMA performance goal based on the number of actions completed, the limited number of actions does not serve as a useful indicator for preliminary performance. [14]
"Approvable" Letters. Two amendments containing a complete response to an "approvable" letter were acted on for the FY 2003 MDUFMA cohort, one for the FY 2004 MDUFMA cohort, and none were acted on for the FY 2005 MDUFMA cohort. While FDA has not met the MDUFMA performance goal based on the number of actions completed for the FY 2003 and FY 2004 cohorts, the limited number of actions does not serve as a useful indicator for preliminary performance.
FDA may still receive amendments for these cohorts; therefore, it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Act on an amendment containing a complete response to a "major deficiency" or "not approvable" letter | 180 days | 2003 | N | 23 / 25 | 92% | No Goal |
| 2004 | N | 23 / 26 | 88% | No Goal | ||
| 2005 | N | 3 / 3 | 100% | 75% | ||
| Act on an amendment containing a complete response to an "approvable" letter | 30 days | 2003 | N | 1 / 2 | 50% | 90% |
| 2004 | N | 0 / 1 | 0% | 90% | ||
| 2005 | N | 0 / 0 | n/a | 90% |
The table below summarizes the annual review time goals for Expedited PMAs. In FY 2003 the cycle goal of reviewing 90 percent of amendments containing a complete response to an "approvable" letter within 30 days became effective. One decision goal and four additional cycle goals became effective in FY 2005 with the performance levels increasing incrementally through FY 2007.
| Goals | Review Time Goal | Performance Level | ||||||
|---|---|---|---|---|---|---|---|---|
| FY 03 | FY 04 | FY 05 | FY 06 | FY 07 |
||||
| Decision | Make an "FDA decision" | 300 days | No Goal | No Goal | 70% | 80% | 90% | |
| Cycle | Issue a "major deficiency" letter as the first action | 120 days | No Goal | No Goal | 70% | 80% | 90% | |
| Issue all other first actions | 170 days | No Goal | No Goal | 70% | 80% | 90% | ||
| Issue a "major deficiency" letter as the second or later action | 100 days | No Goal | No Goal | 70% | 80% | 90% | ||
| Act on an amendment containing a complete response to a "major deficiency" or "not approvable" letter | 170 days | No Goal | No Goal | 70% | 80% | 90% | ||
| Act on an amendment containing a complete response to an "approvable" letter | 30 days | 90% | ||||||
Workload
| The total number of Expedited PMA submissions received in FY 2005 decreased, returning to the FY 2003 level. The total number of amendments to the FY 2004 MDUFMA cohort is three times as many as the FY 2003 cohort (see graph to the right and table below). [13] | D |
| Expedited PMAs | |||||
|---|---|---|---|---|---|
| Type | FY 03 | FY 04 | FY 05 | FY 06 | FY 07 |
| Submissions | 3 | 14 | 4 | -- | -- |
| Amendments [13] (major deficiency / approvable) |
3 (2 /1) | 9 (8/1) | 1 (1/0) | -- | -- |
Decisions. FDA made decisions on all of the FY 2003 cohort, most (11 of 14) of the FY 2004 cohort, and half (2 of 4) of the FY 2005 MDUFMA cohort. While FDA is meeting the MDUFMA performance goal for making an "FDA decision", the limited number of actions does not serve as a useful indicator for preliminary performance (see table below). [14] With decisions still pending, but not overdue as of September 30, 2005 , it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Make an "FDA decision" | 300 days | 2003 | Y | 3 / 3 | 100% | No Goal |
| 2004 | N | 11 / 11 | 100% | No Goal | ||
| 2005 | N | 2 / 2 | 100% | 70% |
First Action Letters . FDA issued all first action letters for the FY 2003, FY 2004, and FY 2005 cohorts (see table below). While FDA did not meet the MDUFMA performance goal for issuing a "major deficiency" letter as the first action and has met the MDUFMA performance for issuing all other first actions, the limited number of actions in the cohort limits the usefulness of these indicators for assessing performance for the FY 2005 cohort. [14]
| Goals | Review Within | Fiscal Year | Cohort Closed |
Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Issue a "major deficiency" letter as the first action | 120 days | 2003 | Y | 2 / 2 | 100% | No Goal |
| 2004 | Y | 8 / 10 | 80% | No Goal | ||
| 2005 | Y | 2 / 3 | 67% | 70% | ||
| Issue all other first actions | 170 days | 2003 | Y | 1 / 1 | 100% | No Goal |
| 2004 | Y | 1 / 4 | 25% | No Goal | ||
| 2005 | Y | 1 / 1 | 100% | 70% |
Second or Later Action Letters. FDA did not issue any second or later action letters for the FY 2003 cohort, one for the FY 2004 cohort, and none for the FY 2005 cohort (see table below). [14] FDA may still issue additional letters for the FY 2005 cohort; therefore, it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Issue a "major deficiency" letter as the second or later action | 100 days | 2003 | N | 0 / 0 | n/a | No Goal |
| 2004 | N | 0 / 1 | 0% | No Goal | ||
| 2005 | N | 0 / 0 | n/a | 70% |
Amendments. FDA reviewed and acted on all amendments received for the FY 2003 through FY 2005 MDUFMA cohorts (see table below).
"Major Deficiency" or "Not Approvable" Letters . One amendment containing a complete response to a "major deficiency" or "not approvable" letter from the FY 2005 MDUFMA cohort was acted on within the review time. While FDA is meeting the MDUFMA performance goal based on the number of actions completed, the limited number of actions does not serve as a useful indicator for preliminary performance. [14]
"Approvable" Letters . One amendment containing a complete response to an "approvable" letter was acted on for the FY 2003 MDUFMA cohort, one was acted on for the FY 2004 MDUFMA cohort, and none for the FY 2005 MDUFMA cohort. While FDA is meeting the MDUFMA performance goal based on the number of actions completed for the FY 2003 and FY 2004 cohorts, the limited number of actions does not serve as a useful indicator for preliminary performance.
FDA may still receive amendments for these cohorts; therefore, it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Act on an amendment containing a complete response to a "major deficiency" or "not approvable" letter | 170 days | 2003 | N | 2 / 2 | 100% | No Goal |
| 2004 | N | 5 / 8 | 62% | No Goal | ||
| 2005 | N | 1 / 1 | 100% | 70% | ||
| Act on an amendment containing a complete response to an "approvable" letter | 30 days | 2003 | N | 1 / 1 | 100% | 90% |
| 2004 | N | 1 / 1 | 100% | 90% | ||
| 2005 | N | 0 / 0 | n/a | 90% |
The table below summarizes the annual review time goals for 180-day PMA Supplements. One decision goal and three cycle goals became effective in FY 2005 with the performance levels increasing from 80 percent in FY 2005 to 90 percent in FY 2007.
| Goals | Review Time Goal | Performance Level | |||||
|---|---|---|---|---|---|---|---|
| FY 03 | FY 04 | FY 05 | FY 06 | FY 07 | |||
| Decision | Make an "FDA decision" | 180 days | No Goal | No Goal | 80% | 80% | 90% |
| Cycle
|
Issue a "not approvable" letter as the first action | 120 days | No Goal | No Goal | 80% | 85% | 90% |
| Issue all other first actions | 180 days | No Goal | No Goal | 80% | 85% | 90% | |
| Act on an amendment containing a complete response to a "not approvable" letter | 160 days | No Goal | No Goal | 80% | 85% | 90% | |
Workload
| The total number of 180-day PMA supplements received in FY 2004 and FY 2005 decreased by almost one-half when compared to the FY 2003 level. The number of amendments to the FY 2004 cohort increased by approximately 50 percent as compared to the FY 2003 cohort (see graph to the right and table below). [13] | D |
| 180-day PMA Supplements | |||||
|---|---|---|---|---|---|
| Type | FY 03 | FY 04 | FY 05 | FY 06 | FY 07 |
| Submissions | 206 | 106 | 99 | -- | -- |
| Amendments [13] | 25 | 38 | 6 | -- | -- |
Decisions. FDA made decisions on all of the FY 2003 and FY 2004 cohort submissions and on two-thirds (65 of 99) of the FY 2005 MDUFMA cohort (see table below). Preliminary performance for the FY 2005 cohort indicates FDA is exceeding the MDUFMA performance goal for making an "FDA decision" (97 percent on time) (see table below). [14] With decisions still pending, but not overdue as of September 30, 2005 , it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Make an "FDA decision" | 180 days | 2003 | Y | 194 / 206 | 94% | No Goal |
| 2004 | Y | 102 / 106 | 96% | No Goal | ||
| 2005 | N | 63 / 65 | 97% | 80% |
First Action Letters. FDA issued all first action letters for the FY 2003 and FY 2004 cohorts and over two-thirds (68 of 99) of first action letters for the FY 2005 cohort (see table below). Preliminary performance for the FY 2005 cohort indicates FDA is exceeding the MDUFMA performance goal for issuing a "not approvable" letter as a first action (92 percent on time) and for issuing all other first action letters (98 percent on time). [14] With first action letters still pending, but not overdue as of September 30, 2005 , it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Issue a "not approvable" letter as the first action | 120 days | 2003 | Y | 6 / 32 | 19% | No Goal |
| 2004 | Y | 36 / 43 | 84% | No Goal | ||
| 2005 | N | 24 / 26 | 92% | 80% | ||
| Issue all other first actions | 180 days | 2003 | Y | 166 / 174 | 95% | No Goal |
| 2004 | Y | 61 / 63 | 97% | No Goal | ||
| 2005 | N | 41 / 42 | 98% | 80% |
Amendments. FDA reviewed and acted on all amendments received for the FY 2003 through FY 2005 MDUFMA cohorts (see table below).
"Not Approvable" Letters. Six amendments containing a complete response to a "not approvable" letter from the FY 2005 cohort were acted on within the review time. While FDA is meeting the MDUFMA performance goal based on the number of actions completed, the limited number of actions does not serve as a useful indicator for preliminary performance. [14]
FDA may still receive amendments for these cohorts; therefore, it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Act on an amendment containing a complete response to a "not approvable" letter | 160 days | 2003 | N | 24 / 25 | 96% | No Goal |
| 2004 | N | 38 / 38 | 100% | No Goal | ||
| 2005 | N | 6 / 6 | 100% | 80% |
The table below summarizes the annual review time goals for 510(k) Premarket Notifications. One decision goal and two cycle goals became effective in FY 2005. The performance level for the decision goal remains constant at 75 percent for FY 2005 and FY 2006 and increases to 80 percent in FY 2007. [16] The performance levels for the two cycle goals increase incrementally from 70 percent in FY 2005 to 90 percent in FY 2007.
| Goals | Review Time Goal | Performance Level | |||||
|---|---|---|---|---|---|---|---|
| FY 03 | FY 04 | FY 05 | FY 06 | FY 07 | |||
| Decision | Make a "substantially equivalent" or "not substantially equivalent" decision | 90 days | No Goal | No Goal | 75% | 75% | 80% |
| Cycle | Issue an "additional information" letter as the first action | 75 days | No Goal | No Goal | 70% | 80% | 90% |
| Issue any second or later action | 60 days | No Goal | No Goal | 70% | 80% | 90% | |
Workload
| The total number of 510(k) submissions received in FY 2005 was virtually the same as FY 2004 (see graph to the right and table below). | D |
| 510(k) Premarket Notifications | |||||
|---|---|---|---|---|---|
| Type | FY 03 | FY 04 | FY 05 | FY 06 | FY 07 |
| Submissions | 4,290 | 3,710 | 3,712 | -- | -- |
| MDUFMA Cohort [17] | 3,801 | 3,388 | 3,573 | -- | -- |
Decisions. FDA has made decisions on almost all of the FY 2003 MDUFMA cohort (3,795 of 3,801) and FY 2004 MDUFMA cohort (3,371 of 3,388), and over two-thirds (2,516 of 3,573) of the FY 2005 MDUFMA cohort (see table below). Preliminary performance for the FY 2005 MDUFMA cohort indicates FDA is exceeding the MDUFMA performance goal for making a "substantially equivalent" or "not substantially equivalent" decision (95 percent on time). [14] With decisions still pending, but not overdue as of September 30, 2005 , it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Make a "substantially equivalent" or "not substantially equivalent" decision | 90 days | 2003 | N | 2,887 / 3,795 | 76% | No Goal |
| 2004 | N | 2,835 / 3,371 | 84% | No Goal | ||
| 2005 | N | 2,400 / 2,516 | 95% | 75% |
First Action Letters. FDA issued almost half of the first action letters for the FY 2003 (1,719 of 3,801), FY 2004 (1,618 of 3,388), and FY 2005 (1,573 of 3,573) MDUFMA cohorts (see table below). Preliminary performance for the FY 2005 MDUFMA cohort indicates FDA is exceeding the MDUFMA performance goal for issuing an "additional information" letter as a first action (95 percent on time). [14] With first action letters still pending, but not overdue as of September 30, 2005 , it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Issue an "additional information" letter as the first action | 75 days | 2003 | N | 1,005 / 1,719 | 58% | No Goal |
| 2004 | N | 1,271 / 1,618 | 79% | No Goal | ||
| 2005 | N | 1,490 / 1,573 | 95% | 70% |
Second or Later Action Letters. FDA issued 611 second or later action letters for the FY 2003 MDUFMA cohort, 584 for the FY 2004 MDUFMA cohort, and 362 for the FY 2005 MDUFMA cohort (see table below). Preliminary performance for the FY 2005 cohort indicates FDA is exceeding the MDUFMA performance goal for issuing second or later action letters (94 percent on time). [14] With the FY 2005 MDUFMA cohort still active as of September 30, 2005 , second or later action letters are still possible. Therefore, it is too early to make a final performance determination for second or later action letters.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Issue any second or later action | 60 days | 2003 | N | 311 / 611 | 51% | No Goal |
| 2004 | N | 478 / 584 | 82% | No Goal | ||
| 2005 | N | 340 / 362 | 94% | 70% |
The table below summarizes two new annual review time goals for Resubmitted Original BLAs and BLA Efficacy Supplements for FY 2005 MDUFMA performance levels for the "Class 1" and "Class 2" resubmissions. Performance levels increase incrementally from 75 percent in FY 2005 to 90 percent in FY 2007.
| Goals | Review Time Goal | Performance Level | ||||
|---|---|---|---|---|---|---|
| FY 03 | FY 04 | FY 05 | FY 06 | FY 07 | ||
| Review and act on "Class 1" original BLA and BLA efficacy supplement resubmissions | 2 months | No Goals | No Goals | 75% | 80% | 90% |
| Review and act on "Class 2" original BLA and BLA efficacy supplement resubmissions | 6 months | No Goals | No Goals | 75% | 80% | 90% |
Workload
| The total number of resubmitted BLAs and BLA efficacy supplement applications increased in FY 2005. "Class 1" resubmissions were received for the first time in three years while "Class 2" resubmissions almost doubled (see graph to the right and table below). | D |
| Resubmitted BLAs and BLA Efficacy Supplements | |||||
|---|---|---|---|---|---|
| Type | FY 03 | FY 04 | FY 05 | FY 06 | FY 07 |
| "Class 1" | 0 | 0 | 5 | -- | -- |
| "Class 2" | 2 | 5 | 9 | -- | -- |
| MDUFMA Total | 2 | 5 | 14 | -- | -- |
Resubmissions. FDA reviewed and acted on all of the resubmitted "Class 1" BLAs and BLA efficacy supplements for the FY 2005 cohort; there were no "Class 1" resubmissions received in FY 2003 and FY 2004 (see table below). FDA reviewed and acted on all resubmitted "Class 2" BLAs and BLA efficacy supplements for the FY 2003 and FY 2004 cohorts and two-thirds (6 of 9) of the FY 2005 cohort.
While FDA met the MDUFMA performance goal based on the number of actions completed for the "Class 1" resubmissions and is meeting the MDUFMA performance goal for the "Class 2" resubmissions, the limited number of actions does not serve as a useful indicator for preliminary performance. [14] With "Class 2" resubmissions still pending, it is too early to make a final performance determination.
| Goals | Review Within | Fiscal Year | Cohort Closed | Number on Time / Actions Completed | Percent on Time [15] | MDUFMA Performance Goal |
|---|---|---|---|---|---|---|
| Review and act on "Class 1" original BLA and BLA efficacy supplement resubmissions | 10 months | 2003 | Y | 0 / 0 | n/a | No Goal |
| 2004 | Y | 0 / 0 | n/a | No Goal | ||
| 2005 | Y | 5 / 5 | 100% | 75% | ||
| Review and act on "Class 2" original BLA and BLA efficacy supplement resubmissions | 6 months | 2003 | Y | 2 / 2 | 100% | No Goal |
| 2004 | Y | 4 / 5 | 80% | No Goal | ||
| 2005 | N | 6 / 6 | 100% | 75% |
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This section reports on the additional commitments outlined in FDA's Commitment Letter. A detailed description of the commitments, performance targets, and definitions of terms can be found in Appendix A (section I, paragraphs I - P).
During FY 2005, FDA's review performance for submissions that do not have specific MDUFMA performance goals continued to be comparable to FY 2002 performance (prior to enactment of MDUFMA).
| CDRH Performance Indicators | FY 02 | FY 03 | FY 04 | FY 05 |
|---|---|---|---|---|
| HDEs - Filing to first action (average FDA days) | 53 | 48 | 52 | 63 |
| HDEs - Elapsed time to approval (average FDA days) | 175 | 152 | 182 | 223 |
| IDEs - FDA review time (average FDA days) | 28 | 27 | 28 | 28 |
| IDEs - Percent of decisions made within 30 days | 99% | 100% | 100% | 96% |
| IDE Amendments - FDA review time (average FDA days) | 18 | 19 | 18 | 20 |
| IDE Amendments - Percent of decisions made within 30 days | 100% | 100% | 100% | 98% |
| IDE Supplements - FDA review time (average FDA days) | 20 | 19 | 19 | 19 |
| IDE Supplements - Percent of decisions made within 30 days | 100% | 100% | 100% | 100% |
| CBER Performance Indicators | FY 02 | FY 03 | FY 04 | FY 05 |
|---|---|---|---|---|
| BLA Supplements (CBE/CBE-30) - Percent reviewed and acted on within 6 months | 99% | 97% | 100% | 100% |
| PMA Supplements (CBE) - Percent of decisions made within 180 days | 100% | 100% | 100% | 100% |
| PMA Supplements (135-day) - Percent of decisions made within 135 days | NR | 100% | 100% | 100% |
| PMA Supplements (CBE-30) - Percent of decisions made within 30 days | 67% | 100% | 100% | 100% |
| KEY : HDEs-Humanitarian Device Exemptions;
IDEs-Investigational Device Exemptions; BLA-Biologic License Application; PMA-Premarket Application; CBE-Changes Being Effected; NR-None Received |
NOTE: Some reported measures may change over time, as additional actions are taken on open applications.
FDA continues to encourage meetings as a particularly effective way to ensure that both FDA and applicants understand the clinical, scientific, and regulatory issues associated with new technologies. Pre-IDE and pre-PMA meetings have proven to be particularly beneficial and are used routinely by industry. During FY 2005, FDA participated in more than 1,300 premarket meetings with industry. The more formal types of meetings (agreement meetings, determination meeting, 100-day meetings) are not used as frequently by premarket applicants.
During FY 2005, FDA applied approximately 1,104 full-time equivalents (FTEs) (1,034 direct FDA FTEs and 70 contractor FTEs) to the process for the review of device applications. The total for FY 2005 is 275 FTEs (205 direct FDA FTEs and 70 contractor FTEs) over FY 2002.
FDA's FY 2005 MDUFMA Financial Report to Congress will provide additional information on FDA's use of resources for the MDUFMA program.
FDA issued initial guidance on modular PMA reviews in its guidance document, Assessing User Fees: PMA Supplement Definitions, Modular PMA Fees, BLA and Efficacy Supplement Definitions, Bundling Multiple Devices in a Single Application, and Fees for Combination Products , on February 25, 2003 . This guidance explained that the fee for a modular PMA submission was due upon submission of the first module (not just the "shell" that described the overall plan for the modular submission).
On November 23, 2003 , FDA provided a more comprehensive guidance document, Premarket Approval Application Modular Review ; this guidance provided industry and FDA staff with information regarding the modular review program and outlined the procedures for submitting and reviewing a modular PMA. As FDA gains more experience with the modular PMA process, it will consult with stakeholders to develop performance goals for this program.
After consulting with stakeholders, FDA determined that bundling is appropriate under certain circumstances. On February 25, 2003 , FDA issued initial guidance describing general bundling principles in its guidance document, Assessing User Fees: PMA Supplement Definitions, Modular PMA Fees, BLA and Efficacy Supplement Definitions, Bundling Multiple Devices in a Single Application, and Fees for Combination Products . This guidance explained that bundling may involve multiple devices or multiple indications for use in a single submission. On November 26, 2003 , FDA provided a more comprehensive guidance document, Bundling Multiple Devices or Multiple Indications in a Single Submission . This guidance was intended to help industry and FDA staff understand when bundling may be appropriate, when separate submissions should be considered, and provided numerous examples illustrating these bundling principles for both 510(k) and PMA applications. Interest in bundling has increased since MDUFMA was enacted, and FDA is now receiving more bundled submissions.
FDA published Guidance for Industry, Providing Regulatory Submissions to CBER in Electronic Format - Investigational New Drug Applications (INDs) (March 26, 2002), which applies to investigational studies of devices, such as blood screening test kits, leading to a BLA. CBER contributed to guidance documents on electronic submissions in general, and received a number of electronic submissions for biologic (non-device) reviews. To date, CBER has not received electronic submissions of any medical device applications.
CBER continues to make a significant outreach effort to inform regulated industry of the process for electronic submissions. In particular, during all sponsor meetings, CBER informs applicants and potential applicants of the ability to submit electronic documents. In addition, CBER is making provisions for secure e-mail when not associated with an original electronic application.
CDRH is working with applicants to expand the use of electronic submissions, focusing first on increasing the use of electronic copies of applications. CDRH has initiated a "Turbo 510(k)" pilot in the Office of In-Vitro Diagnostics Device Evaluation and Safety, providing an electronic template for submission and review of in vitro diagnostic device 510(k)s, and will use the experience gained and lessons learned from this pilot as it moves forward with additional electronic initiatives.
During FY 2003, FDA began a comprehensive examination of factors affecting the timeliness and efficiency of the preapproval inspection process to determine how the process can be improved and what resources would be required to make those improvements. FDA is continuing to examin