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Software as Medical Device in India (SaMD)

Estimated reading time : 

10 Minutes
Software as Medical Device

How is Software as a Medical Device (SaMD) defined?

According to Medical device rules,2017 is a class of software designed to carry out one or more medical functions. It includes software or mobile apps intended to treat, diagnose, cure, mitigate, or prevent disease or other conditions.

In the past few years, the world has witnessed the advancement of technologies at a very high speed, and the healthcare sector didn’t remain untouched. Monitoring, diagnosing, preventing, and treatment of diseases can be done with the help of software technologies. In Feb 2020, the government of India released a notification specifically for software as medical devices (SaMD), as India didn’t have any specific rules for software as medical devices. The main objective of CDSCO to bring specific regulations for software as a medical device is to keep an eye on the user’s data safety, quality, and efficacy of the device. From April 2020, any software or app which is used for diagnosing, preventing, or monitoring any disease or disorder, as a part of or used in combination with a device or that helps in investigating any physical processes are termed as medical devices and thus regulated as a drug under 1940 Act.

Conditions for Software as Medical Device (SaMD)

  • Diagnosis, monitoring, prevention, treatment, or alleviation of any disease or disorder.
  • Assists without any injury or disability
  • Helps in the replacement, investigation, modification, or support of any anatomy or any physiological process
  • Aids in Supporting or sustaining life
  • Deals in disinfection of medical devices
  • Assists in control of conception

There are two different types of software released to medical devices: software as a Medical Device (SaMD) and Software in a Medical device (SiMD

SaMD

SiMD

A standalone medical device, SaMD, can perform one or more medical purposes without being part of a hardware medical device.

SiMD is software that is part of the functioning of a medical device and does not have a medical purpose independent of a medical device with components. Often thought of as purely embedded software within medical equipment, it can also include desktop, mobile, and cloud software that is either essential to the functioning of a medical device or is an accessory to the device.

Unlike medical devices, CDSCO regulates the license to import, manufacture, sell, or distribute software as medical devices.

Software as Medical Device must fulfill the following criteria:

    • The intention of the manufacturer is to be used for a medical purpose.
    • Meets the definition of Medical Device as provided under Medical Device Rules.

Classification of SaMD for registration of Software as Medical Device is mentioned below:

Class

Risk

Purpose

Role

Example

Class A

Low Risk

Do not directly interfere with patients’ data

Analyse patients’ old data and put out vital data to establish links.

Software for Retrospective Data Analysis from a Continuous Glucose Monitor

Class B

Moderate Risk

Provide real-time information on patient’s parameters but not a clinical diagnosis

Generates real-time data to diagnose issues in patients’ bodies.

Insulin Pump Secondary Display

Class C

Moderate High

Helps in the diagnosis and analysis of physical activity

Identifies the unusual activities and helps the doctor in handling them.

Orthodontic Software

Class D

High Risk

CDSCO has not classified any software that shall fall under Class D

N/A

N/A

  • When SaMDs are classified, they follow the same registration path as any other medical device in India.
  • Software that is either used to drive a device or influences the use of the device falls in the same class.
  • The registration requirements compliance must align with the corresponding risk classification.

Registration requirements on information and documents of SaMD in India are given below:

Information

Documents

Manufacturer’s name, address, phone no., fax, and email id.

ISO 13485 certificate

Site Details

Foreign government certificate (for imported devices).

Nature of activity

Free sale certificate from any one NRA country as defined in MD rules

Device category

Applicants undertaking stating all the information is correct and genuine.

Description of product

Fees challan

Generic name and model number

Declaration of conformity

Intended use

Plant master file

Source/ manufacturing material

Device master file

Dimension

Power of attorney

Shelf life

Inspection report

Storage conditions

Full quality Assurance Certificate

Name of brand

overseas manufacturing site or establishment or plant registration

 

 

The following laws must be followed when marketing Software as Medical Devices (SaMD) in India:

  • Medical Device Definition as per S.O. 648(E) released on February 11, 2020 –
  • Medical Device Rule,2017
  • ISO 13485:2016 – Quality management risk
  • ISO 14971:2019 – Application of Risk Management to Medical Devices.
  • POST-MARKETKET SURVILLANCE
  • CLINICAL EVALUATION REPORT

Following globally harmonized standards are applicable:

  • IEC 62304 – Software Life Cycle Process – deals with almost everything software engineers do.
  • IEC 60601-1 General requirement for basic safety and essential performance of medical electrical equipment – makes sure that no single electrical, mechanical, thermal, or functional failure causes a risk to patients or operators.
  • IEC 82304-1 Health Software – General requirement for product safety – applicable to standalone software, also known as Software as a Medical Device (SaMD).
  • IEC 81001-5-1 – Health software and health IT systems safety, effectiveness, and security – Part 5-1: Security- activities in the product lifecycle- deals with cybersecurity.
  • IEC 62366-1 Medical device – Part 1: Application of usability engineering for medical devices – deals with requirements of man-machine interface ergonomics

Steps to register Software as a medical device in India:

Step 1 : Determine if the medical device classifies as software as a medical device

Step 2 : Classify the device based on the risk

Step 3 : Identification of applicable standards

Step 4 : Gather the data as per CDSCO

Step 5 : Gather and compile the technical document

Step 6 : Application submission

.

Conclusion: With time, the healthcare sector has started adopting technology to advance its system and meet its requirements. Now healthcare sector involves the heavy use of technology for diagnosing, curing, preventing, and treating various diseases. Many other issues, such as patient data protection, cybersecurity, etc., started to arise with technology. Thus, keeping in mind the sensitivity, the government of India has started planning to bring more strict regulations to regulate software as medical devices

How NKG can help:

For the past two decades, NKG has been helping more than five thousand clients worldwide, across the healthcare spectrum, to get their products registered. The dedicated regulatory team of NKG has more than ten years of experience in helping clients cross the hurdles they face while marketing their products to sell or distribute in India.

 

Have a query, drop it at contact@nkgabc.com

Picture of Navraj Bindra
Navraj Bindra
Navraj Bindra is a Director - Regulatory Expert & Strategy at NKG. He is behind regulatory approvals of more than 1500 beauty brands in India. He has spent 10 years in NK Group which was founded by his father Mr. GK Bindra in 2005.The name NKG now synonymous with reliability, transparency and efficiency in India & the world. The core team is a family with Founder & Father Mr. GK Bindra & two sons Navraj Bindra & Karan Bindra who work together.

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