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Findings
General wellness products are defined by two factors: they are intended only for general wellness use and present a low risk to user safety. The FDA categorizes wellness uses into those relating to a general state of health (e.g., weight management, physical fitness, sleep) and those relating to chronic diseases where lifestyle choices are well-accepted to play a role in health outcomes. Products are not considered low risk if they are invasive, implanted, or involve technologies like lasers or radiation that require specific regulatory controls. Software functions intended for maintaining a healthy lifestyle that are unrelated to the diagnosis or treatment of a disease are explicitly excluded from the statutory definition of a medical device.

Recommendations
Manufacturers should ensure that claims for general wellness products are limited to sustaining or improving general health functions or encouraging healthy lifestyle choices for living well with chronic conditions. Disease-related claims must be supported by peer-reviewed scientific publications or official statements from healthcare professional organizations. Labeling and marketing communications must be consistent with and not exceed the product’s stated intended use. For products using non-invasive sensing to estimate physiologic parameters, manufacturers should validate these outputs if they mimic values used clinically. If a product includes notifications to see a doctor, these should not name specific diseases or characterize outputs as pathological.

Regulatory Considerations
For products meeting the low-risk general wellness criteria, the FDA does not intend to enforce requirements such as registration and listing, premarket notification, or Quality Management System regulations. The FDA may coordinate with the Consumer Product Safety Commission to determine jurisdiction over specific products. If a product targets the diagnosis, screening, or management of a disease through alerts or clinical thresholds, it is generally not considered a general wellness product and is subject to standard medical device regulations. Industry members may contact the Digital Health Center of Excellence or use the Q-Submission process to discuss alternative approaches or clarify the regulatory status of a specific product.