Ortho-Graphics Inc.

Data management software systems

…We are writing to you because on February 28 through March 3, 1997, Investigator James E. Moore from the Food and Drug Administration (FDA) collected information that revealed a serious regulatory problem involving the products known as the “_____” and the “_____” data management software systems, which are made and marketed by your firm. Please excuse our delay in corresponding with you.

1. Failure to establish a device master record (21 CFR 820.181). For example, there is no documentation demonstrating the device specifications including the appropriate revisions, programming, finished product testing and software installation of your devices. This would also be a violation of the Quality System Regulation, 21 CFR 820.181.

4. Failure to establish written manufacturing specifications and processing procedures in order to assure that the device conforms to its original design or any approved changes in that design (21 CFR 820.100). For example, there is no documentation demonstrating the validation of software changes. This would also be a violation of the Quality Systems Regulation, 21 CFR 820.70.

About the author

Amy enjoys researching and writing about developments in medical technology and how that intersects with US law. She received her J.D. from the University of Florida Levin College of Law in 2020 and now works as a Regulatory Associate for SoftwareCPR®, a general-purpose regulatory consulting firm that is recognized globally for their expertise with standards and national regulations pertaining to medical device, mobile medical app, and HealthIT software.

SoftwareCPR Training Courses:

IEC 62304 and other Emerging Standards Impacting Medical Device Software

Being Agile & Yet Compliant

ISO 14971 SaMD Risk Management

Software Risk Management

Medical Device Cybersecurity

Software Verification

IEC 62366 Usability Process and Documentation

Or just email training@softwarecpr.com for more info.

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