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Findings
The development and evaluation of medical devices require scientifically plausible and reliable tools for collecting data to support regulatory submissions. A lack of standardized, pre-vetted tools can lead to inefficiencies and unpredictability in the device development and review process. The qualification of development tools can be applied across a wide range of device areas, including cardiovascular, neurology, imaging, and cybersecurity. The evidence required for tool qualification must be robust enough to support its intended context of use.

Recommendations
Tool developers, medical device sponsors, research organizations, and academic institutions are encouraged to voluntarily submit proposals to the MDDT program to qualify their tools. Submissions should include a detailed description of the tool, a clearly defined context of use (COU), specific performance criteria, and a comprehensive plan for collecting evidence to validate the tool’s performance and scientific plausibility. Collaboration in developing tools and supporting evidence is recommended to pool resources and increase the acceptance of qualified tools.

Regulatory Considerations
The MDDT program is a formal regulatory mechanism for the FDA to qualify tools that can be used to support assessments of medical device safety, effectiveness, or performance. Once a tool is qualified for a specific context of use, the FDA accepts assessments from that tool in support of regulatory submissions without needing to re-evaluate the tool’s suitability. The program recognizes four main categories of tools: Non-clinical Assessment Models (NAM), Biomarker Tests (BT), Clinical Outcome Assessments (COA), and an “Other” category for tools that do not fit the primary classifications.