FDA Issues Updated Draft Guidance on Use of Real World Evidence

On December 18, the FDA issued a draft guidance, Use of Real-World Evidence to Support Regulatory Decision-Making for Medical Devices. When final, this guidance will supersede Use of Real-World Evidence to Support Regulatory Decision-Making for Medical Devices, issued August 2017.

The new draft guidance clarifies how the FDA evaluates real-world data (RWD) to be used in the agency’s regulatory decision-making for medical devices. It also proposes expanded recommendations for sponsors considering the use of real-world evidence (RWE) to support regulatory submissions for medical devices.

The guidance covers:

FDA considers the use of RWD to be fit-for-purpose to support generation of clinical evidence for regulatory decision-making for medical devices when it concludes that the RWD used to generate the RWE are relevant to and reliable for informing or supporting a particular regulatory decision. The agency notes that it is important to understand the strengths and limitations of the underlying RWD and how these qualities impact their relevance and reliability, as well as context of the specific regulatory decision for which the RWE is being proposed. FDA noted that it does not endorse one type of RWD over another. Sponsors should select the appropriate RWD sources based on their suitability to address the specific study questions.

Data sources that may be considered RWD sources include the following:

Per the new draft guidance, some purposes for which use of RWD may potentially be applicable in a regulatory submission include the following:

Stakeholders may submit comments under docket number FDA-2023-D-4395 at www.regulations.gov by February 20, 2024.

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