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Medical Device Biocompatibility

ISO 10993-aligned biocompatibility planning and evaluation for 510(k), De Novo, PMA, and EU MDR — scoped to your device's tissue-contact type and exposure duration, so you don't over- or under-test.

What It Is

Two standards, one cohesive plan.

FDA's medical device biocompatibility expectations have tightened. ISO 10993-1 is the framework, but FDA layers its own specific guidance on top — including chemical characterization, extractables and leachables, and risk-based justifications for skipped endpoints. We design biocompatibility programs that pass both reviews the first time, scoped to your device's contact category and duration so you spend only on the evidence the submission actually requires.

01

Biological Evaluation Plan

ISO 10993-1 aligned BEP with FDA-specific overlays — the foundation reviewers expect to see referenced throughout the submission.

02

Endpoint Matrix

Tissue contact type × exposure duration mapped to the specific tests required (cytotoxicity, sensitization, irritation, systemic, genotoxicity, implantation).

03

Chemical Characterization & E/L

ISO 10993-18 chemical characterization and extractables/leachables strategy — increasingly the route FDA prefers for risk-based justification.

04

Risk-Based Justification

Where endpoints can be addressed by literature, predicate data, or chemical equivalence rather than new testing — the documentation that defends the choice.

05

Lab Selection & Oversight

Selection of ISO 17025 / GLP-compliant labs, protocol review, and sponsor-side study monitoring through to defensible reports.

06

Submission Authoring

Biocompatibility section authoring for 510(k), De Novo, PMA, and EU MDR — structured to anticipate reviewer questions.

Who It's For

Biocompatibility, at the moments that matter.

510(k) & De Novo Submissions

Devices preparing first FDA clearance with materials and contact profile that need defensible biocompatibility evidence.

PMA Programs

Class III devices where biocompatibility integrates with the broader nonclinical package.

EU MDR Alignment

Devices marketed in or moving to the EU, where MDR alignment runs alongside FDA evidence.

Material or Design Changes

Existing products undergoing material substitution, sterilization changes, or design iterations that may re-trigger evaluation.

How We Work

From contact category to defensible submission.

Step 01

Device Review

Understand materials, contact type, duration, and clinical use.

Step 02

Pathway & Endpoints

Map the FDA pathway and the endpoint matrix it requires.

Step 03

Test & Characterize

Lab selection, protocol design, and sponsor-side oversight.

Step 04

Submission Authoring

Biocompatibility section authored to anticipate reviewer questions.

Frameworks

Standards we work in.

ISO 10993-1 ISO 10993-3 · Genotoxicity ISO 10993-5 · Cytotoxicity ISO 10993-10 · Sensitization/Irritation ISO 10993-11 · Systemic ISO 10993-18 · Chemical Char. FDA Use of ISO 10993-1 (2023) 21 CFR Part 58 · GLP 21 CFR Part 812 · IDE 510(k) De Novo EU MDR
Start Here

Book a biocompatibility review.

A focused engagement that maps your contact category to the right endpoint matrix — before you commission unnecessary studies.

The Engagement

Biocompatibility Pathway + Risk Register Sprint

  • Biological Evaluation Plan against ISO 10993-1 and FDA expectations
  • Endpoint matrix tied to your specific device profile
  • Chemical characterization & E/L strategy where applicable
Request a Biocompatibility Review →
Principal
Harriet Kamendi, PhD, DABT