{"href":"http://player.captivate.fm/services/oembed?url=http%3A%2F%2Fplayer.captivate.fm%2Fepisode%2F923b86ed-5844-4fa6-bc0c-de3917a88bb8","version":"1.0","provider_name":"Captivate.FM","provider_url":"https://www.captivate.fm","width":600,"height":200,"type":"rich","html":"<iframe style=\"width: 100%; height: 200px;\" title=\"Nonbinding Feedback is a New Guidance You Should Know About\" frameborder=\"0\" scrolling=\"no\" allow=\"clipboard-write\" seamless src=\"http://player.captivate.fm/episode/923b86ed-5844-4fa6-bc0c-de3917a88bb8\"></iframe>","title":"Nonbinding Feedback is a New Guidance You Should Know About","description":"FDA has been busy working on guidance documents, including Nonbinding Feedback After Certain FDA Inspections of Device Establishments. \nMike Drues of Vascular Sciences joins Jon Speer on the Global Medical Device Podcast this week to discuss the importance of this document and how it relates to 483 observances and warning letters for medical devices.\n\nSome of the highlights of the show include:\n- What prompted nonbinding feedback guidance, and is it necessary? CDRH\u2019s increased number of site inspections resulted in more warning letters.\n- CDRH is more aggressive with annual inspections because some medical device companies and their employees do stupid things, instead of the right things.\n- Goal of guidance is to improve communications with medical device companies concerning corrective actions in response to inspectional observations.\n- There are differences between a 483 and warning letter. A 483 is an inspectional item with room for improvement; a warning letter indicates a serious violation.\n- Guidance Process: Inspection is performed, company receives a 483, analyzes the observation, generates a response, and FDA returns nonbinding feedback. \n- If company\u2019s response is appropriately implemented, FDA states: Response appears to be adequate, partially adequate, or inadequate.\n- Nobody wants to receive a 483. It\u2019s usually inevitable, but not the end of the world. Be proactive and respond appropriately to avoid escalation.\n- A company needs to respond to FDA in a timely manner, which is within 15 business days. FDA tries to return nonbinding feedback within 45 calendar days.","thumbnail_width":300,"thumbnail_height":300,"thumbnail_url":"https://artwork.captivate.fm/01fc1cf2-d6e8-4707-8403-97eb839c9e64/cb6d5b4d-ef88-4f3e-b2bd-f0bc033b91f2.jpg"}