LIFE+CEL OR LIFECEL BATTERY PACK, MODEL 5L500
K072596 · Amco International Manufacturing & Design, Inc. · MKJ · Jan 24, 2008 · Cardiovascular
Device Facts
| Record ID | K072596 |
| Device Name | LIFE+CEL OR LIFECEL BATTERY PACK, MODEL 5L500 |
| Applicant | Amco International Manufacturing & Design, Inc. |
| Product Code | MKJ · Cardiovascular |
| Decision Date | Jan 24, 2008 |
| Decision | SESE |
| Submission Type | Traditional |
| Regulation | 21 CFR 870.5310 |
| Device Class | Class 3 |
Intended Use
The 5L500 Lithium life+cel or lifecel is a replacement battery pack for the Medtronic LifePak 500 AED. Since non-rechargeable batteries and battery packs are "device specific", and are designed to operate and fit into the equipment for which they were manufactured, only qualified personnel should evaluate, test, charge, or install these devices. This battery is shipped only to customers who request a replacement battery for a particular device or to replace a competitor's replacement battery. Biomedical equipment service professionals, EMT's, etc. therefore know that the intended use is as a replacement battery. The replacement battery pack in this submission, Amco Part Number 5L500, is to be provided by prescription only.
Device Story
The 5L500 is a non-rechargeable lithium battery pack designed as a replacement power source for the Medtronic LifePak 500 AED. It functions as a direct current (DC) power source for the defibrillator. The device is used by biomedical equipment service professionals, EMTs, and other qualified personnel in clinical or emergency settings. The battery provides the necessary electrical energy to power the AED's functions, including the delivery of shocks. The healthcare provider installs the battery into the AED; the device's performance directly impacts the AED's ability to deliver the required number of shocks during emergency cardiac events. Benefits include providing a reliable power source to ensure the AED is operational for life-saving defibrillation.
Clinical Evidence
Bench testing only. No clinical data. Testing included incoming inspection of cells, Cadex Battery Analyzer (Model C7400ER) testing for voltage and capacity in 'Auto Mode' to ensure >90% target capacity, and 100% voltage/polarity testing of completed packs. Defibrillator performance was verified using NETECH Model Delta 2000 Defibrillator Analyzers to confirm the battery meets the OEM-specified number of shocks. Mechanical integrity was validated via drop testing (2-3 feet) and thermal performance was verified at 0, 25, and 40°C.
Technological Characteristics
Non-rechargeable lithium battery pack. Provides DC power via chemical reaction. Designed for specific form, fit, and function compatibility with Medtronic LifePak 500 AED. Testing protocols utilize Cadex C7400ER analyzer and NETECH Delta 2000 defibrillator analyzer. Performance parameters include voltage, capacity, and temperature tolerance (0-40°C).
Indications for Use
Indicated for use as a replacement battery pack for the Medtronic LifePak 500 AED. Intended for use by qualified personnel, including biomedical equipment service professionals and EMTs. Prescription use only.
Regulatory Classification
Identification
An automated external defibrillator (AED) system consists of an AED and those accessories necessary for the AED to detect and interpret an electrocardiogram and deliver an electrical shock (e.g., battery, pad electrode, adapter, and hardware key for pediatric use). An AED system analyzes the patient's electrocardiogram, interprets the cardiac rhythm, and automatically delivers an electrical shock (fully automated AED), or advises the user to deliver the shock (semi-automated or shock advisory AED) to treat ventricular fibrillation or pulseless ventricular tachycardia.
Predicate Devices
- Medtronic Emergency Response System LifePak 500 AED (K052057)
Reference Devices
- Cadex Electronics Battery Analyzer Model C7400ER
- NETECH Model Delta 2000 Defibrillator Analyzer
Related Devices
- K141795 — BATTER PACK, REPLACEMENT FOR PHYSIO CONTROL LIFEPAK 500 · R & D Batteries, Inc. · Dec 8, 2014
- K091548 — AMCO REPLACEMENT BATTERY FOR PHILIPS MEDICAL MODELS BT1 AND M5070A · Amco International Manufacturing & Design, Inc. · Aug 7, 2009
- K982896 — ALEXANDER MANUFACTURING CO. RECHARGEABLE BATTERY PART NUMBER LP9 · Alexander Mfg. Co. · Oct 21, 1998
- K073716 — LIFE+CEL OR LIFECEL BATTERY · Amco International Manufacturing & Design, Inc. · Apr 11, 2008
- K971604 — ALEXANDER MANUFACTURING CO. RECHARGEABLE BATTERY PART NUMBER LP5-FP · Alexander Mfg. Co. · Jul 28, 1997
Submission Summary (Full Text)
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November 16, 2021
Amco International Manufacturing & Design, Inc. Alexander Henderson Technical Consultant 377 Zane Ct. Elizabeth, Colorado 80107
Re: K072596
Trade/Device Name: Life+cel Or Lifecel Battery Pack, Model 51500 Regulation Number: 21 CFR 870.5310 Regulation Name: Automated external defibrillator system Regulatory Class: Class III Product Code: MKJ
Dear Alexander Henderson:
The Food and Drug Administration (FDA) is sending this letter to notify you of an administrative change related to your previous substantial equivalence (SE) determination letter dated January 24, 2008. Specifically, FDA is updating this SE Letter because FDA has better categorized your device technology under product code MKJ.
Please note that the 510(k) submission was not re-reviewed. For questions regarding this letter please contact Jennifer Shih, Office of Cardiovascular Devices, 301-796-5813, Jennifer.Shih@fda.hhs.gov.
Sincerelv.
Jennifer W. Shih -S
Jennifer Shih Assistant Director Division of Cardiac Electrophysiology, Diagnostics and Monitoring Devices Office of Cardiovascular Devices Office of Product Evaluation and Quality Center for Devices and Radiological Health
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### DEPARTMENT OF HEALTH & HUMAN SERVICES
OF HEALTH & HUMAN SERVICES - USA
Food and Drug Administration 9200 Corporate Boulevard Rockville MD 20850
JAN 2 4 2008
Amco International Manufacturing & Design, Inc. c/o Mr. Alexander Henderson Phoenix Technology 377 Zane Court Elizabeth, CO 80107
Re: K072596
Trade Name: 5L500 life+cel™ or lifecel™ Battery Pack Regulation Number/Name: unclassified Regulatory Class: III (three) Product Code: MOY Dated: January 8, 2008 Received: January 11, 2008
Dear Mr. Henderson:
We have reviewed your Section 510(k) premarket notification of intent to market the device referenced above and have determined the device is substantially equivalent (for the indications for use stated in the enclosure) to legally marketed predicate devices marketed in interstate commerce prior to May 28, 1976, the enactment date of the Medical Device Amendments, or to devices that have been reclassified in accordance with the provisions of the Federal Food, Drug, and Cosmetic Act (Act) that do not require approval of a premarket approval application (PMA), You may, therefore, market the device, subject to the general controls provisions of the Act. The general controls provisions of the Act include requirements for annual registration, listing of devices, good manufacturing practice, labeling, and prohibitions against misbranding and adulteration.
If your device is classified (see above) into either class II (Special Controls) or class III (PMA), it may be subject to such additional controls. Existing major regulations affecting your device can be found in the Code of Federal Regulations, Title 21, Parts 800 to 898. In addition, EDA may publish further announcements concerning your device in the Federal Register.
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#### Page 2 - Mr. Alexander Henderson
Please be advised that FDA's issuance of a substantial equivalence determination does not mean that FDA has made a determination that your device complies with other requirements of the Act or any Federal statutes and regulations administered by other Federal agencies. You must comply with all the Act's requirements, including, but not limited to: registration and listing (21 CFR Part 807); labeling (21 CFR Part 801); good manufacturing practice requirements as set forth in the quality systems (OS) regulation (21 CFR Part 820); and if applicable, the electronic product radiation control provisions (Sections 531-542 of the Act); 21 CFR 1000-1050. This letter will allow you to begin marketing your device as described in your Section 510(k) premarket notification. The FDA finding of substantial equivalence of your device to a legally marketed predicate device results in a classification for your device and thus, permits your device to proceed to the market.
If you desire specific advice for your device on our labeling regulation (21 CFR Part 801), please contact the Center for Devices and Radiological Health's (CDRH's) Office of Compliance at (240) 276-0120. Also, please note the regulation entitled, "Misbranding by reference to premarket notification" (21CFR Part 807.97). For questions regarding postmarket surveillance, please contact CDRH's Office of Surveillance and Biometric's (OSB's) Division of Postmarket Surveillance at 240-276-3474. For questions regarding the reporting of device adverse events (Medical Device Reporting (MDR)), please contact the Division of Surveillance Systems at 240-276-3464. You may obtain other general information on your responsibilities under the Act from the Division of Small Manufacturers, International and Consumer Assistance at its toll-free number (800) 638-2041 or (240) 276-3150 or at its Internet address http://www.fda.gov/cdrh/industry/support/index.html.
Sincerely yours,
B. Kommerla
Bram B. Zuckerman, M.D. Director Division of Cardiovascular Devices Office of Device Evaluation Center for Devices and Radiological Health
Enclosure
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# INDICATIONS FOR USE STATEMENT
510(K) Number: K072596
Device Name: 5L500 life+cel or lifecel Battery Pack
Indications for Use:
The 5L500 Lithium life+cel or lifecel is a replacement battery pack for the Medtronic LifePak 500 AED.
Since non-rechargeable batteries and battery packs are "device specific", and are designed to operate and fit into the equipment for which they were manufactured, only qualified personnel should evaluate, test, charge, or install these devices.
This battery is shipped only to customers who request a replacement battery for a particular device or to replace a competitor's replacement battery. Biomedical equipment service professionals, EMT's, etc. therefore know that the intended use is as a replacement battery.
The replacement battery pack in this submission, Amco Part Number 5L500, is to be provided by prescription only.
(PLEASE DO NOT WRITE BELOW THIS LINE – CONTINUE ON ANOTHER PAGE IF NEEDED)
Concurrence of CDRH, Office of Device Evaluation (ODE)
Bhummer
510(k) Number
377 Zane Court • Elizabeth, Colorado USA 80107 Telephone: 303-646-3715 • Email: alex_henderson@phoenixsolutions.org
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Image /page/4/Picture/1 description: The image shows the logo for Phoenix Technology. The logo features a stylized phoenix bird rising from flames on the left side. To the right of the bird is the text "PHOENIX TECHNOLOGY" in a serif font, with "PHOENIX" in a larger size than "TECHNOLOGY".
# 510(k) Summary – K072596 -1 of 4-
# Replacement Battery Pack 5L500
| Submitter: | Amco International Manufacturing & Design, Inc.<br>Attn: Mr. Adam Milewski<br>69-81 108th Street, Suite 6G<br>Forest Hills, New York 11375 | |
|----------------------------------------------------------------------------------------|-----------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------|-------------------------------------------------------------------------------------|
| Contact Person: | Alexander B. Henderson<br>Phoenix Technology<br>377 Zane Court,<br>Elizabeth, CO 80107<br>Tel: 303-646-3715<br>Email: alex_henderson@phoenixsolutions.org | |
| Date Prepared: | September 10, 2007 | |
| Device Name: | Trade/Proprietary Name:<br>Common/Generic Name:<br>Classification Name: | life+cel™ or lifecel™ Battery Pack<br>Box Battery<br>Box, Battery, Non-Rechargeable |
| Classification: | Cardiovascular Panel<br>Class | |
| 21CFR 870.1025<br>21CFR 870.1110<br>21CFR 870.1130<br>21CFR 870.2300<br>21CFR 870.2340 | Arrhythmia Detector and Alarm<br>Blood Pressure Computer<br>Systems, Measurement, Blood Pressure, Non-Invasive<br>Monitor, Cardiac (Including Cardio tachometer & Rate Alarm)<br>Electrocardiograph<br>No Regulatory Reference Rechargeable Batteries for Class III Devices | |
377 Zane Court · Elizabeth, Colorado USA 80107 Telephone / Fax: 303-646-3715 • Email: alex_henderson@phoenixsolutions.org
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# 510(k) Summary - 5L500 -2 of 4-
#### Legally Marketed Predicate Devices:
This submission compares the specifications and functionality of AMCO Lithium 5L500 life+cel or lifecel battery packs with those of similar devices that were included as part of the following original predicate equipment and submissions:
The AMCO 5L500 life+cel™ is the same as that used in the Medtronic Emergency Response System LifePak 500 AED cleared under 510(k) notif ication K052057.
#### Description:
The AMCO 5L500 life+cel™ Non-rechargeable battery pack is utilized as a primary direct current (d-c) power source or as a standby or backup d-c power source for portable as well as stationary medical equipment.
#### Statement of Intended Use:
To power the functions of various devices for which the batteries or battery packs are intended.
#### Comparison of Technological Characteristics
The design components and functionality of the AMCO Lithium 5L500 life+cel or lifecel battery packs listed are similar to those of their predicate devices. All these devices provide a means of supplying electrical power through chemical reaction. The energy provided depends upon the voltage and capacity rating of a particular pack and the amount of c urrent used by the device into which they are installed. The performance and life span of these batteries depends on operating conditions of temperature, current drain, and the charge/discharge method (if applicable). These parameters are taken into accoun t in designing such batteries. The goal is to develop battery packs that maintain capacity for as high and as long as possible. Typical cell chemistries are Lithium Sulfur Dioxide, Sealed -Lead Acid (SLA), Nickel-Cadmium (NiCd), and Nickel-Metal Hydride (NiMH).
> 377 Zane Court • Elizabeth, Colorado USA 80107 Telephone / Fax: 303-646-3715 · Email: alex_henderson@phoenixsolutions.org
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# 510(k) Summary - 5L500 -3 of 4-
# BATTERY PACK TESTING - GENERAL PROTOCOL
#### INCOMING INSPECTION
All cells are inspected for correct specification, visible damage, and randomly voltage tested prior to acceptance. The lot numbers are recorded for tracking purposes should any fail during final assembly and inspection activities. Cases are also inspected for form, fit, function, and cosmetics.
#### CADEX TESTING
Voltage and capacity of non-rechargeable battery cells and core packs are tested using a Cadex Electronics Battery Analyzer Model C7400ER (Extended Range) in the "Auto Mode" This exercises the batteries in order to identify performance characteristics by running them through a full discharge cvcle. Tests typically take 12 hours for each bat tery pack. Non-Rechargeable packs are tested to depletion on a random lot sample basis.
All battery chemistries can be tested using custom test parameters, depending on Quality Control and customer requirements. This allows for various C -Rates, delta V (ΔV), and voltsper-cell to be entered into the test protocol through the Cadex Battery Sho p Software utility (Reference Cadex Test Report Examples - Exhibit A).
Target capacity is the percentage of the battery capacity compared to nominal capacity and serves as a threshold, This threshold, or target capacity, can be set to any desired range (9 0 - 95% is typical).
Target capacity is a passfail mark and our batteries must meet or exceed a required threshold of 90%, or higher, prior to final Quality Control inspection. Any samples that do not meet the criteria are rejected, and subsequently, the entire lot is tested in this manner.
Battery packs are not shipped fully charged (except non -rechargeable Lithium types). There are specific DOT, FAA, and EPA regulations and guidelines that address these concerns.
#### VOLTAGE TESTING - Completed Packs
All Battery Packs are tested 100% for correct voltage / polarity prior to shipment. Those devices that fail are rejected and quarantined.
#### DEFIBRILLATOR TESTING
Independent testing (Beta Tests), as well as random tests on finished packs, are performed using NETECH Model Delta 2000 Defibrillator Analyzers to insure that they meet the expected number of shocks as specified by the OEM's.
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# 510(k) Summary - 5L500 -4 of 4-
### BATTERY PACK TESTING (continued)
## SAFETY and PERFORMANCE
Safety and performance testing of battery packs are performed to ensure that these devices meet all functional requirements and performance specifications.
In comparison analysis, OEM Battery Packs set the benchmark. Replacement devices must meet or exceed these benchmark results consistently.
Concerns that are addressed during bench test comparison analysis are:
#### . Life cycle
The replacement battery must provide as many or more charge and discharge cycles as the original. This is an ongoing process and is not part of the st andard QC final inspection protocol. Shelf life, on the other hand, is based on the original cell manufacturer's specification sheets and Certificates of Conformance.
#### · Temperature
The replacement battery must function correctly over the same temper ature range as compared to the original. Testing is done at 0, 25, and 40°C (32, 77, and 104°F respectively).
#### . Mechanical & Electrical Component Integrity
Normal testing would involve drop tests from a predetermined height, usually 2 -3 feet, onto a hard, uniform surface. Battery packs are inspected for case cracks, cell separation, and electrical/electronic component damage. Root cause analysis is performed should any damage occur.
- If there is no visible damage, the battery is tested for fo rm, fit, and function.
- Active Safety devices are inspected and tested before use and after installation.