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21 CFR Part 806 Process Flow Potential need for correction or removal identified Does the situation involve a “risk to health” under 21 CFR 806.2(j)? Does the situation involve a violation of the Federal Food, Drug, and Cosmetic Act or an FDA regulation? Is the potential action exempt from the reporting requirements under 21 CFR 806.1(b)? Under which subpart of 21 CFR 806.1(b) is the potential action exempt? Document this determination and identify the specific subpart [21 CFR 806.1(b)(1), (2), (3), or (4)] in the _____ file Is the potential action reportable to FDA under 21 CFR 806.10 i.e., is it intended to reduce a “risk to health” [806.10(a)(1)] or to remedy a violation that may present a “risk to health” [806.10(a)(2)]? Prepare a Report of Correction or Removal to FDA in accordance with 21 CFR 806.10(c) Document the determination that the potential action is not reportable under 21 CFR 806.10 and generate the records required under 21 CFR 806.20(b) Submit the Report of Correction or Removal to FDA within 10 business days of “initiating” the action Have all of the identified actions been completed? End End Prepare a monthly (unless otherwise specified by FDA) status update report to FDA Submit each status update report to the appropriate FDA office Prepare a final status update report and request for FDA to terminate the correction or removal End FDA decision to terminate the correction or removal The company receives FDA’s formal termination letter Evaluate 21 CFR Part 7 (Subparts A and C) and FDA’s Recall Guidance to help define the company’s “recall strategy” and communications Y Y N Y N N Y N Y N © 2012 EduQuest, Inc.

21 cfr part 806 Process Flow for Device Recalls

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Flow chart for deciding when it's appropriate (and required) to recall a medical device under FDA's 21 CFR Part 806 recall rules. This flowchart has been prepared by Gordon B. Richman, Vice President of EduQuest, a global team of FDA compliance experts, who also has more than 20 years of experience as a senior compliance and quality executive in the medial device industry.

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Page 1: 21 cfr part 806 Process Flow for Device Recalls

21 CFR Part 806 Process Flow

Potential need for

correction or removal

identified

Does the situation involve a “risk

to health” under 21 CFR 806.2(j)?

Does the situation involve a

violation of the Federal Food,

Drug, and Cosmetic Act or an FDA

regulation?

Is the potential action

exempt from the reporting

requirements under 21

CFR 806.1(b)?

Under which subpart of

21 CFR 806.1(b) is the

potential action exempt?

Document this determination and

identify the specific subpart [21

CFR 806.1(b)(1), (2), (3), or (4)] in

the _____ file

Is the potential action reportable to

FDA under 21 CFR 806.10 – i.e., is it

intended to reduce a “risk to health”

[806.10(a)(1)] or to remedy a violation

that may present a “risk to health”

[806.10(a)(2)]?

Prepare a Report of

Correction or Removal

to FDA in accordance

with 21 CFR 806.10(c)

Document the determination that the

potential action is not reportable

under 21 CFR 806.10 and generate

the records required under 21 CFR

806.20(b)

Submit the Report of Correction

or Removal to FDA within 10

business days of “initiating” the

action

Have all of the

identified actions

been completed?

End

End

Prepare a monthly (unless

otherwise specified by FDA)

status update report to FDA

Submit each status update report

to the appropriate FDA office

Prepare a final status

update report and request

for FDA to terminate the

correction or removal

End

FDA decision to

terminate the

correction or

removal

The company

receives FDA’s

formal termination

letter

Evaluate 21 CFR Part 7 (Subparts

A and C) and FDA’s Recall

Guidance to help define the

company’s “recall strategy” and

communications

YY

N

Y

N

N

Y

N Y

N

© 2012 EduQuest, Inc.