The purpose of this blog is to make sure all of the independent service and sales organizations (“ISO’s”) are aware of a recent FDA “docket” item.  It is, according to the FDA, to receive comments “concerning the service, maintenance, refurbishment and alteration of medical devices by third-party entities, as well as challenges third-party entities face in maintainging or restoring devices to their original or current specifications.”  The FDA states that they have had numerous “concerns” expressed by “stockholders” and felt it was important to address this subject again.

Is this yet another attempt by OEM’s to limit or eliminate the marketplace for ISO’s?  Are there serious concerns by equipment users and/or patients?  Have there been a large number of notifications to the FDA from facilities regarding faulty equipment that was serviced by ISO’s (as opposed to equipment serviced by OEMs’)?

As of yet, no one knows. sword_fight-rd

I am a bit late in getting this blog off of my desk and into cyberspace so the FDA’s “comment” period has already ended, but there will be a workshop later this fall with the FDA to begin the public discussion.  Perhaps we will find out more about what is motivating the FDA at that time.

In any case, I felt it was very important that all interested parties get this issue on their radar.

Here are some good articles to read:

General article: http://issuu.com/md-publishing/docs/1604mdmag?e=12554092/34650595

FDA offical “docket”: https://www.federalregister.gov/articles/2016/03/04/2016-04700/refurbishing-reconditioning-rebuilding-remarketing-remanufacturing-and-servicing-of-medical-devices

Some historical information regarding previous FDA reviews: http://www.fdalawblog.net/fda_law_blog_hyman_phelps/2016/03/everything-old-is-new-againfda-request-for-comments-on-medical-device-refurbishing-servicing-and-sim.html

OEM-Approved1It is clear that ISO’s are concerned.  Diana Upton, President of the International Association of Medical Equipment Remarketers and Servicers, Inc. (IAMERS) submitted that organizaton’s response.  They are opposed to any additional regulation of medical equipment servicers and refurbishers. She points out that in 2009, the FDA found no pattern of adverse events indicating that refurbished and remarketed devices have been associated with serious injury. “If there is a lack of uniform performance as some representatives of original equipment manufacturers may be suggesting, its genesis may be the failure of some OEMs to cooperate in providing access with passwords and manuals as they are required to do, under existing FDA regulations, for radiation emitting devices.”

But this may not affect just those that refurbish equipment.  The FDA is focused on six areas which include (see definitions of each of these at the end of this blog):

  • Reconditioning
  • Servicing
  • Repairing
  • Refurbishing
  • Remanufacturing
  • Remarketing

Every ISO does one or more of these types of work.  The one that sticks out like a sore thumb is “remarket”.  This is defined as “the act of facilitating the transfer of a previously owned device from one party to another by sale, donation, gift, or lease.”

I think most independent sales companies make a large percentage of their living on the sale of pre-owned equipment.  This alone demands that each of us stay aware of what is happening with this docket item.

I will try to keep you informed, but please send me any information you get and your suggestions as to how each of us can be involved.

vacationI’ll be on vacation from June 26th until July 14th.  If you don’t hear back from me right away during that period it doesn’t mean that I’m not interested.  I am going to Botswana to see lots of non-human life forms and I’m told that there is absolutely
no cell coverage in some of the areas where I’ll be travelling.  That is both exciting and scary.

 

 

 

 

 

 

Footnote of Definitions:

  • Reconditioner: “Restores and/or refurbishes a medical device to the OEM’s [original equipment manufacturer] original specifications. Under limited circumstances the medical device may be restored and/or refurbished to current specifications.”
  • Service: “Maintenance or repair of a finished device after distribution for purposes of returning it to the safety and performance specifications established by the OEM and to meet its original intended use. Servicing cannot change the intended use(s) of the device from its original purpose(s).”
  • Repair: “Return the device or component to original specifications including replacing non-working components or parts outside of routine or periodic upkeep for the current owner of the device.”
  • Refurbish: “Restore device to a condition of safety and effectiveness that is comparable to when new. This includes reconditioning, repair, installation of certain software/hardware updates that do not change the intended use of the original device, and replacement of worn parts.”
  • Remanufacture: “Process, condition, renovate, repackage, restore, or any other act done to a finished device that significantly changes the finished device’s performance, safety specifications, or intended use.”
  • Remarket: “The act of facilitating the transfer of a previously owned device from one party to another by sale, donation, gift, or lease.”-