| Literature DB >> 35106697 |
Brian G Beitler1, Paul F Abraham2, Alyssa R Glennon3, Steven M Tommasini4,5, Lisa L Lattanza4, Jonathan M Morris6, Daniel H Wiznia4,7.
Abstract
3D printing is revolutionizing the medical device landscape through its ability to rapidly create patient-specific anatomic models, surgical instruments, and implants. Recent advances in 3D printing technology have allowed for the creation of point-of-care (PoC) 3D printing centers. These PoC centers blur the line between healthcare provider, medical center, and device manufacturer, creating regulatory ambiguity. The United States Food & Drug Administration (FDA) currently regulates 3D printed devices through existing medical device regulations. However, the FDA is increasingly interested in developing guidelines and regulations specifically for PoC 3D printing due to its rapid adoption across the healthcare institutions. In this article, we review the regulatory framework that governs medical devices, discuss how PoC 3D printing falls within this framework, and describe a novel conceptual framework that the FDA has proposed. Finally, through analysis of the aforementioned regulations and discussions with industry medical 3D printing regulatory experts, we provide recommendations for PoC medical 3D printing best practices so that institutions are best positioned to utilize this revolutionary technology safely and effectively.Entities:
Keywords: 3D Printing; FDA; Medical device design; Orthopedics; Point-of-care (PoC) 3D Printing
Year: 2022 PMID: 35106697 PMCID: PMC8809025 DOI: 10.1186/s41205-022-00134-y
Source DB: PubMed Journal: 3D Print Med ISSN: 2365-6271
Proposed FDA Framework for Medical PoC 3D Printing
| Scenario | Additional Details and Considerations |
|---|---|
| A healthcare facility prints and uses 3D-printed devices in a way that presents minimal risk in terms of patient safety and ability to print | • Should employ monitoring and risk mitigations strategies • Should leverage existing standards, certifications • Not intended for implants, life-supporting / life‐ sustaining devices or devices that present a serious health risk to patients |
| A device is designed by manufacturer to be printed by the healthcare facility where the post-processing steps are automatic or self‐contained | • Uses a validated process that has been evaluated by FDA • Device use should be consistent with cleared indications and manufacturer instructions for use |
| A device is designed by manufacturer to be printed by the healthcare facility where there is more complex manufacturing and post-printing processes | • The healthcare facility would have to have appropriately trained personnel and proper equipment • May require labeling, training, instructions for calibration, or testing on-site in order to facilitate appropriate 3D printing by the healthcare facility |
| A manufacturer or contract manufacturer is co- located at the healthcare facility | • The healthcare facility doesn’t intend to set up and manage their own 3D facility or the devices are not minimal risk • The healthcare facility is performed by a traditional manufacturer, contract manufacturer, or other 3rd party using their own equipment and personnel |
| A healthcare facility chooses to become a manufacturer (develop, test, print) and the devices are not minimal risk | • The healthcare facility desires to design and control their own 3D printing operations and the devices are not minimal risk • The healthcare facility is responsible for development/design, testing, and printing • The healthcare facility is responsible for all regulatory requirements |
| Adapted from the presentation “3D Printing Medical Devices at Point of Care” [ | |

Fig. 1 Patient-specific anatomic model protocol