FDA · De Novo Request · Novel Class I/II Devices

US De Novo Request · Strategy, Evidence & eSTAR

No predicate? We build a clear De Novo strategy, propose the right special controls, map evidence to risks, and package your file in FDA’s eSTAR template.

For novel, low-to-moderate-risk devices with no suitable predicate, a De Novo request can create a new Class I/II classification—if your benefit–risk story and proposed controls are clear. We provide a consulting and documentation service that defines your De Novo strategy, proposes special controls, organizes clinical and nonclinical evidence, and packages everything in FDA’s eSTAR template. From October 1, 2025, De Novo submissions must use eSTAR unless exempted.

Fit-for-purpose pathway

Benefit–risk clarity

Transparent special controls

eSTAR-compliant structure

Why De Novo & eSTAR Matter Now

Choosing the right U.S. pathway and structuring the file correctly are critical for novel devices without a predicate.

We focus on the three big risks—wrong route, weak SE story, and RTA issues—and address them in a single, eSTAR-ready package.

When This De Novo Service Is a Good Fit

We support teams who need a structured, defensible De Novo route—not just a formatted template.

What You Will Receive

Deliverables are designed around four core outcomes: a clear strategy, transparent controls, mapped evidence, and an eSTAR-ready file.

De Novo Strategy Memo

Risk & Mitigations Register With Proposed Special Controls

Evidence Map + Gap Log

eSTAR Package & Acceptance-Readiness

How Our De Novo Service Works

We move from basic eligibility and evidence inventory to an eSTAR-ready, acceptance-aware De Novo package.

A healthcare professional's office. A laptop displays test results.
01

Discovery

02

Eligibility & Pathway

03

Evidence & Controls

04

Documentation & eSTAR Assembly

Scope & Boundaries

We keep the scope focused on strategy, evidence organization, and documentation—no hidden promises.

Consulting and documentation only. We do not perform laboratory testing and do not author labels; clients contract labs and submit via their regulatory owner or U.S. Agent.

FREQUENTLY ASKED QUESTIONS

De Novo is appropriate when there is no legally marketed predicate device and the device’s risk can be adequately controlled using general controls and, where needed, special controls. If a suitable predicate exists, a 510(k) is usually the primary route.

Yes. For De Novo requests submitted on or after October 1, 2025, FDA requires use of the eSTAR template, unless a specific exemption applies.

It depends on the device’s risks and claims. Evidence must be sufficient to support the benefit–risk profile and the proposed special controls. For some devices, nonclinical evidence may be enough; others require clinical data.

No. The formal submission is made by your regulatory owner or U.S. Agent. We prepare the strategy, narrative, and eSTAR content so their submission is organized and ready for FDA intake.

Yes. As part of the strategy phase, we can identify key questions and draft materials you may want to bring to FDA in a Q-Submission to de-risk your De Novo before filing.

A woman holding a smartphone in one hand and a stethoscope in the other. She wears medical gloves and appears to be in a hospital setting. Regulatory Medical Device Consultancy.

Build a De Novo Request With Clear Strategy, Evidence & eSTAR Structure

If your device has no predicate and you want a fit-for-purpose pathway instead of PMA, a De Novo request can create the right classification—if risks, controls, and evidence are presented clearly. We help you define the De Novo strategy, propose special controls, map evidence to risk, and assemble an eSTAR-compliant file that anticipates acceptance checks and supports a faster, clearer review.

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