Originally Published MDDI January
2005
Coatings
Using Risk Analysis to Develop Coated Medical Devices
The popularity of coated devices is at an all-time high. However, there are
challenging technical and regulatory obstacles when adding
a coating to a device.
Phil Triolo
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| Coated-device test articles should be exposed to all the processing conditions, including sterilization. |
The market introduction of drug-eluting cardiovascular stents has brought the
use of coatings in medical devices to the forefront. The potential upside, both
for increasing device efficacy and profits, is significant.1
Somewhat smaller gains in device performance can be achieved by applying a coating
that does not contain a drug or biologic to a medical device. Applying a coating
can improve the physical performance of the product. Such improvements include
decreased frictional forces between the device and tissue or increased resistance
to mechanical failure of a device surface.
Devices with a physical coating have clear development and regulatory pathways
and relatively low regulatory risks. However, the technical obstacles of adding
a coating can be challenging.
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A later article will discuss the technical and regulatory issues associated
with drug-eluting, or bioactive, coatings. This article outlines the regulatory
requirements for developing coated medical devices.
The technical and regulatory issues for coated devices are presented here using
risk analysis as the basis for device design. Some familiarity with design control
requirements is necessary.2 Since coated devices are regulated by
CDRH only, this article focuses exclusively on CDRH requirements.
Risk Analysis
To meet regulatory requirements for design control, the risks of the coated
or surface-modified device must be analyzed. The most recent standard for performing
such risk analyses is ISO 14971:2000. This standard has been expanded to include
risk management as well as risk analysis and is recognized by FDA as a consensus
standard.3,4
The risks associated with a coated device should include those for the uncoated
device as well as any general patient hazards associated with the coating. These
hazards include the following:
Unacceptable biological responses to the adhered coating.
Unacceptable response to portions of the coating that separate from the
device, e.g., emboli of the coating released into the bloodstream, emboli that
constitute wear particles shed from coated orthopedic devices, or molecular
fragments of biodegradable coatings.
Unacceptable coating performance, where the coated device fails to perform
as indicated in claims.
Standard methods for analyzing risk include failure modes and effects analysis
(FMEA) and failure modes, effects, and criticality analysis (FMECA). These methods
identify each component of the medical device, their potential modes of failure,
the predicted risks posed by each failure mode, and the means to reduce the
risks to acceptable levels.
The potential failure modes for the coating that could result in the patient
hazards listed above can include
Unacceptable biological or toxicological interactions with the coating
or leachable constituents of the coating.
Flaking or unintended removal of the coating from the device surface
by physical, chemical, or biological means, or a combination thereof.
Inconsistent coating of the device surface.
Deterioration of the uncoated device function, material properties, or
dimensions by the coating or coating process.
The risks posed to a patient by a coated device can be reduced to acceptable levels by using robust designs and materials. Reducing the risks involves creating specification requirements for the device and ensuring that they are consistently met. In some instances, a risk cannot be reduced to acceptable levels by modifying device design. Then a risk-benefit analysis performed by a qualified individual, usually a clinician, can determine if the benefits outweigh the risks. If so, the design can be advanced to the marketplace. If not, the device still may be marketable. However, its use might have to be limited, by labeling, to patient populations, end-use environments, or end-users where risks are at acceptable levels.
Design Input and Output
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According to CDRH, design output should be expressed in terms that allow
adequate assessment of conformance to design input requirements and should identify
the characteristics of the design that are crucial to the safety and proper
functioning of the device.2
The performance specifications for the coated device (design output) are derived
from the design inputs. Design inputs include requirements of relevant standards,
documented customer needs and expectations, and claims for the coating. Device
performance requirements are also defined to mitigate patient risk by eliminating
the cause or reducing the incidence of potential failure modes.
Performance specifications for coated devices include requirements for
Biocompatibility and toxicity of the coated device.
Stability of the chemical, physical, and biological properties of the
coated device during processing, storage, shipping, handling, and in the biological
environment, including adhesion of the coating to the device and durability
of the coating in end-use environments.
Thickness and uniformity of the coating.
Physical performance of the coated device, or reliability.
Physical dimensions of the device.
Shelf-life requirements.
Physical performance of the coating to justify any claims made (reduced
friction, reduced wear, improved hemocompatibility, etc.).
Labeling, including instructions for use.
It is often difficult to define specifications in absolute terms with clearly defined acceptance criteria. When this is the case, the characteristics of one coating can be compared with those of a coating on a similar, marketed device intended for the same end-use in the same end-use environment. The specifications then can be defined in terms of performance relative to that demonstrated by the existing coated device.
Design Verification
Design verification tests demonstrate whether the coated device meets specifications.
Test articles used in verification studies should be built using the same methods
and materials that will be used to manufacture the finished devices. The test
articles should also be exposed to all of the processing conditions that will
be employed during device manufacture, including coating and sterilization.
If resterilization is to be allowed, exposure to the number of permitted sterilization
cycles is required prior to testing. High-humidity environments can pose problems
for hydrophilic coatings, and may require special packaging or handling requirements.
And because the coating can be subjected to abrasive wear during shipping, the
coated device must be exposed to simulated or real shipping conditions to ensure
that it still meets specifications when it reaches the end-user.
The coating can degrade over time, so there is a need to ensure its performance
after subjecting the coated device to real-time or accelerated-aging conditions.
Results from the studies performed after accelerated aging can be used to support
shelf-life claims in marketing applications, but they must be verified by also
performing the same tests on a product that is subjected to real-time aging.5
Characterization of the conditioned device determines whether the coating is
present in sufficient quantities or thickness in specified locations. The test
also ensures that the devices composition is not unacceptably altered
during processing, including sterilization, shipping, storage, and handling.
The testing required to demonstrate that the coating meets its specifications
includes standard bulk-chemical and physical analyses to identify, quantify,
and characterize the presence of the coating. Analytical techniques for identifying
surface composition include x-ray photoelectron spectroscopy, attenuated totally
internal reflecting Fourier-
transform infrared analysis, secondary ion mass spectroscopy (SIMS), and time-of-flight
SIMS, among others.
Atomic force microscopy (AFM) and ellipsometry can determine coating thickness,
and AFM and profilometry can be used to assess surface roughness. The surface
can also be visualized under high magnification using energy dispersive analysis
by x-rays, scanning electron microscopy, or AFM to determine the coatings
consistency. Visualization methods can also identify the presence of voids,
cracks, or other irregularities. On a gross level, staining techniques can be
used to ensure that the device has been uniformly coated.
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| Applying
a coating to a device, like this coated coronary stent, can improve the devices physical performance. |
Other surface properties may need to be characterized and controlled depending
on the end use of the device and the claimed performance of the coating. Such
properties include surface charge, hydrophobicity or hydrophilicity, surface
energy, and porosity.
Discussion of the surface analytical techniques that assess surface properties
is beyond the scope of this article. Fortunately, there are university and industry
experts and laboratories that specialize in surface analytical methods. These
experts can be relied on to decipher the alphabet soup of surface-sensitive
techniques. They can perform the necessary analyses to characterize the modified,
or native, surface of a device.
Simulated-use testing is required to demonstrate that the coating or modified
surface remains firmly attached to the bulk of the device. The device must be
exposed to the stresses that would be applied during manufacture, packaging,
sterilization, shipping, storage, implantation (or clinical manipulation), and
use of the device. These stresses include simulation of the physiologic forces
at the intended implant site or anatomical location.
When a method that is described in a standard is followed to test a coatings
integrity, the simulations are mostly straightforward and do not require validation.
For example, ISO 11070:1998 has a section for coated guidewires that requires
the guidewire to be coiled several times around a cylinder whose radius is scaled
to the diameter of the guidewire. The guidewire then is examined visually for
the presence of cracks, splits, and dehesion.
However, ISO 11070 is not an FDA-recognized consensus standard, and as such,
demonstration that a guidewire coating meets ISO 11070 requirements may not
meet FDA requirements.6
If the device will be situated within the vasculature and be subjected to the
cyclic pressures created by the beating heart, cyclic stresses must be applied
to the device to simulate those present in the physiologic environment. To minimize
the time required to perform the simulations, the stresses are typically cycled
at rates in excess of those that would be normally experienced. For example,
FDA published a guidance for cardiovascular stents recommending that stent designs
be subjected to accelerated in vitro testing equivalent to approximately 10
years of real time.7 Such testing requires exposure to approximately
400 million cycles of physiologic pressures experienced in coronary arteries.
In many instances, standards or recommendations for simulated conditions of
use do not exist or are not applicable to a devices configuration or end-use
environment. In these instances, there is some room to be creative. For example,
coated stylet and guidewire insertion forces can be estimated in a test where
the device is inserted into raw beef brisket to simulate insertion into human
muscle tissue. The force required for advancement and withdrawal is then measured.
This method can determine if the guidewires lubricious coating creates
a reduced coefficient of friction. The adhesion of coatings onto screws used
to fix orthopedic implants can be evaluated by advancing the screws into plastic-foam
blocks. After the screws are removed, a visual inspection of the coating can
locate cracks, delamination, or other defects.
The number of cycles applied during the tests (i.e., inserting/withdrawing and
advancing/removing a screw) exceeds the number of labeled or anticipated insertions
to provide a margin of safety. If the simulated-use methods are not identified
in standards, it is important to validate their usethat is, correlate
the simulated conditions with preclinical or clinical conditions. It is also
important to discuss the test method with FDA before relying on it to produce
results that support the efficacy of a coating.
As an alternative to simulated-use studies, the device can be exposed to anticipated
worst-case conditions and then evaluated. If the anticipated worst-case conditions
are defined clearly to represent conditions that are more stressful on the coated
device than the clinical situation, the devices ability to meet its specifications
after exposure to such conditions can verify the acceptable performance of the
device.
Preclinical Studies
Sometimes it is difficult or impossible to evaluate the performance or safety
of the device using in vitro test methods or under simulated end-use conditions.
In these cases, preclinical animal studies may be necessary. It is important
to document the safety profiles of all coating materials found by performing
literature searches and summarizing in vitro and other preclinical test results
before initiating the evaluation. The more documentation, the less data may
be required from the animal study.
The studies must be performed to good laboratory practice (GLP) requirements.
If specific GLP requirements are not met during the study, be prepared to justify
the reasons for the failures.8
A pilot study is typically needed to refine surgical technique, animal handling
requirements, device design, directions for use of the device, etc., before
the pivotal trial begins. Using an animal species known to be a good model for
the device to be evaluated can minimize regulatory concerns. Employing a surgical
team that has experience with the required procedure can save time.
Whenever possible, the animal protocol, including case report forms, should
be reviewed by FDA before the study begins. The selection of species, the surgical
procedure, sample size, controls employed, statistical methods, and the studys
primary and secondary endpoints all may need to be defended. If the coated devices
will vary in dimensions, justify the use of the sizes of the devices selected
for the study or evaluate the devices with the largest and smallest dimensions.
If the device could be used repeatedly, or if it could be implanted up to a
maximum period of time, an evaluation of the anticipated worst-case conditions
should be included. Case report forms should include questions whose answers
can be used to support claims for the device as well as device safety and efficacy.
Assessment of the safety of the coating could include evaluation of local, regional
(downstream), and systemic effects. These assessments would require preparation
and histopathological evaluation of tissues from a number of sites. Considerations
for the response to the coating can include its effects on healing (i.e., is
it delayed?) and fibrous capsule formation (i.e., does it affect the function
of the device?). Other considerations include coagulation, complement activation,
and the bodys immunologic response to the coated device.
Biocompatibility and Toxicity Tests
The questions often asked of the product development team are: What happens
if the coating comes off? Will the patient be exposed to a toxic level of the
coating? The typical response is Dont worry; it wont
come off! But it is difficult to show unequivocally that the coating will
continue to adhere to the device under end-use conditions.
It may be easier to address this question by first performing a literature search
to determine the toxicity of all of the constituents of the coating. The search
may reveal that the quantity of coating constituents that could be released
is below reported toxic limits. If that is the case, a toxicity test can be
performed in a suitable animal model to confirm the findings.
This approach assumes anticipated worst-case conditions; for example, imagine
that all of the coating is removed from the device in a catastrophic fashion.
If the removed coating materials elicit an acceptable response when injected
into a suitable animal model, it is possible to conclude that the coating material
is suitable for the application or use in clinical trials. Although animal experiments
may be fairly expensive, they often offer the best way to determine the toxicity
of the coating. This is especially true if the coated device is to be situated
in a body location where little toxicity information is available.
In general, biocompatibility issues are addressed by the recommendations of
ISO 10993-1 for the duration and body contact of the coated device. FDA recognizes
most but not all of the ISO 10993 series as consensus standards. The agency
also suggests additional testing for some types of devices.9
Design Validation
According to CDRH, [Validation] testing should involve devices which are
manufactured using the same methods and procedures expected to be used for ongoing
production. While testing is always a part of validation, additional validation
methods are often used in conjunction with testing, including analysis and inspection
methods, compilation of relevant scientific literature, provision of historical
evidence that similar designs and/or materials are clinically safe, and full
clinical investigations or clinical trials.2
Some validation information is more readily available and less expensive to
obtain than that gleaned from full clinical investigations or clinical
trials. This information should be documented in the coated devices
design history file to the fullest extent possible. It may not be possible to
completely validate a design based on existing clinical, scientific, and medical
device reporting data for a currently marketed device. However, the insight
gained from literature reviews of scientific and clinical publications, as well
as searches of FDAs complaint databases, can direct, and sometimes minimize,
clinical research efforts.
In cases where a clinical claim is to be made, clinical data will be necessary.
However, 510(k) clearance or premarket approval (PMA) may be obtained for coated
devices without making a clinical claim for the coating. Claims may be based
on bench-test data or preclinical animal studies. The data and information supporting
the claim must be documented for the end-user in the labeling and be acceptable
to FDA.
Typically, clinical studies have not been performed on coated devices. This
is because the claims for improvements in physical properties can be assessed
using in vitro physical test methods. In addition, safety can be assessed using
standard biocompatibility and toxicity test protocols.
Regulatory Submissions for Coated Devices
It is important to discuss an application for a new device coating with FDA.
It is important to do so as soon as there is enough information available on
the coating to enable a clear description of the technology and the test program
that will be implemented. These discussions can be informal, but, particularly
for a novel material or evaluation method, it may be better to request a presubmission
meeting with FDA.10
If the coated device is not claimed to have improved clinical performance and
a predicate device exists, a 510(k) submission most likely will be required
to document the safety and efficacy of the device. A PMA application would typically
be required only if there is no predicate for the coated device, or if the claim
for the coating has not been allowed previously. As always, communication with
FDA can help ensure that the correct application is submitted.
In most instances, the regulatory pathway is well defined. Reviewers usually
are familiar with the issues of safety and efficacy and methods used to evaluate
coated devices. It is important to adhere to the recommendations of the relevant
guidance document and to design control requirements. Strict adherence ensures
that the information provided to FDA on the safety and efficacy of the device
will be accepted.
It is interesting to entertain the possibility of submitting a special 510(k)
for a coated device that is already cleared in its uncoated state. It can be
argued that adding a coating to a device is a materials change, for which the
submission of a special 510(k) is acceptable. However, the change can only be
addressed in a special 510(k) if certain requirements are met. For example,
the materials in the coating must have already been used in another legally
marketed device cleared by the agency for the same intended use. According to
CDRH,
A change . . . in formulation in a material or a change to a type of material that has been used in other legally marketed devices within the same classification regulation for the same intended use could be reviewed as a Special 510(k). This should be true for both non-contacting devices as well as implants and devices that contact body tissues or fluids.11
Manufacturing Issues
The manufacturing process used to coat the medical device must be fully described
in a PMA application. The description should outline all of the steps in the
process. It should also identify all solvents and intermediates used. Special
attention should be paid to those substances that must be reduced below specified
limits in the finished device to ensure acceptable toxicological properties.
The susceptibility of the process to contamination should be addressed. For
example, how do the controls exercised over purchasing and inspecting raw materials
and the manufacturing process, including packaging, ensure acceptable levels
of contamination?
Process validation is the major task that must be completed before marketing
a coated device. The validation demonstrates that the coating and coated medical
device can be produced to consistently meet predetermined specifications. Process
validation does not officially need to be completed before submitting a PMA
application. However, it is important to document that the coating process is
consistent and reproducible before initiating verification and validation studies.
The documentation will help ensure that the information provided to the agency
is representative of the device as it will be delivered to the end-user. If
the process or materials change significantly, a new application will be necessary,
resulting in costly delays of product introduction to the marketplace.
Conclusion
The process for developing a coated device is the same as the process for developing
an uncoated device. However, additional testing is required for the coated device.
The testing includes a repeat of the tests performed on the uncoated device
to demonstrate that the coating doesnt degrade device performance to an
unacceptable degree. Also included is testing to demonstrate that the coating
performs as expected and evaluations of the coating to assure that its chemical,
physical, and biological properties are stable after exposure to all processing,
shipping, handling, storage, and end-use conditions. Typically, surface-sensitive
techniques characterize surface properties of the coating, including its surface
chemical composition, thickness, roughness, and uniformity.
The regulatory pathway for most coated devices is the submission of a 510(k)
in accordance with the clearly defined recommendations of guidance documents
that were written in the 1990s. So, for devices with physical coatings, product
development and regulatory risks are low, and the improved physical properties
of the device can yield a noticeable effect on device performance. Further,
familiarity with the coating process and the techniques to assess the suitability
of the coating forms a basis for the development of coatings containing bioactive
substances.
References
1. Erik Swain, Coatings: The Next Generation, Medical Device &
Diagnostic Industry 25, no. 7 (2004): 7077.
2. Design Control Guidance for Medical Device Manufacturers, [on-line] (Rockville,
MD: FDA: CDRH, 1997); available from Internet: www.fda.gov/cdrh/comp/designgd.html.
3. Harvey Rudolph, Do We Need Medical Device Risk Management Certification?
Medical Device & Diagnostic Industry 24, no. 11 (2003): 4449.
4. Mike W Schmidt, The Use and Misuse of FMEA in Risk Analysis,
Medical Device & Diagnostic Industry 25, no. 3 (2004): 5661.
5. Shelf Life of Medical Devices, [on-line] (Rockville, MD: FDA: CDRH, 1991);
available from Internet: www.fda.gov/cdrh/ode/
415.pdf.
6. Recognition and Use of Consensus Standards; Final Guidance for Industry and
FDA Staff, [on-line] (Rockville, MD: FDA: CDRH, 2001); available from Internet:
www.fda.gov/cdrh/ost/guidance/ 321.html.
7. Draft Guidance for the Submission of Research and Marketing Applications
for Interventional Cardiology Devices: PTCA Catheters, Atherectomy Catheters,
Lasers, Intravascular Stents, [on-line] (Rockville, MD: FDA: CDRH, 1995); available
from Internet: www.fda.gov/cdrh/ode/846.pdf.
8. Preclinical Studies and Good Laboratory Practice, [on-line] (Rockville, MD:
FDA: CDRH, 2003); available from Internet: www.fda.gov/cdrh/devadvice/ide/related.shtml.
9. Memorandum G95-1: Required Biocompatibility Training and Toxicology
Profiles for Evaluation of Medical Devices, [on-line] (Rockville, MD:
FDA: CDRH, 1995); available from Internet: www.fda.gov/cdrh/g951.html.
10. Early Collaboration Meetings Under the FDA Modernization Act (FDAMA); Final
Guidance for Industry and for CDRH Staff, [on-line] (Rockville, MD: FDA: CDRH,
2001); available from Internet: www.fda.gov/cdrh/ode/guidance/310.html.
11. The New 510(k) ParadigmAlternate Approaches to Demonstrating Substantial
Equivalence in Premarket NotificationsFinal Guidance, [on-line] (Rockville,
MD: FDA: CDRH, 1998); available from Internet: www.fda.gov/cdrh/ode/parad510.html.
Phil Triolo, PhD, RAC, is president of Phil Triolo and Associates LC, an
organization that assists companies in developing new medical devices and combination
products while meeting regulatory requirements.
Copyright ©2005 Medical Device & Diagnostic Industry





