Get support for structured clinical evaluation, in compliance with FDA guidance and international markets.
To register your medical device with the FDA, it is necessary to demonstrate clinical safety and performance. The CEP (clinical evaluation plan) and the CER (clinical evaluation report) are fundamental documents in this process!
The clinical evidence plan defines the strategy for the clinical evaluation of your medical device, while the clinical evidence report gathers the data and demonstrates that your product is safe for the user.
Products with invasive or critical contact with the human body that require robust clinical evaluation.
Products that need a clear clinical evidence plan from the early design stages.
Companies outside the U.S. that must provide proper clinical data summary and documentation for FDA clearance or approval.
Products previously authorized by the FDA that require updated clinical evidence reports due to changes in design, material, or manufacturing.
Companies seeking alignment with other regulatory markets, such as the European MDR 2017/745.
With robust and complete clinical evidence, regulatory processes become faster.
We minimize the chance of FDA deficiencies or rejection.
We develop documentation adapted to your specific device and technology.
We understand FDA expectations as well as those of major international markets regarding clinical evaluation.
Our professionals have proven training and experience in the clinical evaluation of medical devices.
We would love to speak with you.
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Not all devices require clinical evidence. For many Class I and some Class II devices, non-clinical data may be sufficient. However, medium and high-risk devices—especially Class III PMA submissions—almost always require structured clinical evaluation.
Yes. Scientific literature, real-world evidence, and international studies can be used if they align with FDA requirements. We review your existing data to determine what can be accepted and what needs to be supplemented.
In this case, the FDA may require additional data. Strategies include demonstrating substantial equivalence to a predicate device (for 510(k)), conducting new clinical investigations, or implementing post-market clinical follow-up. A clear clinical evidence plan defines the right pathway.
The timeline depends on the complexity of the device, the submission type (510(k), PMA, De Novo), and the availability of clinical data. We provide a tailored schedule, so that you can track progress and milestones in real time.
If the FDA finds clinical evidence insufficient, they typically issue an Additional Information (AI) Request, which delays the review. If concerns are not resolved, the submission may be rejected. With robust and scientifically grounded documentation, we minimize this risk.
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