(139 days)
VPS Impression Material is intended for use with all crowns, bridges, occlusal and dental implant impression techniques to reproduce the structure of a patient's teeth and gums.
VPS Impression Material is dental Impression Material. It complies with the requirements of ISO 4823:2015 for dental elastomeric impression materials. It is supplied as a two-part base/catalyst formulation preloaded in a dual-barrel cartridge. The VPS Impression Material package includes four dual-barrel 50ml cartridges.
The provided text is a 510(k) summary for a dental impression material. The document demonstrates substantial equivalence to predicate devices, rather than proving a device meets specific acceptance criteria through a clinical study. Therefore, much of the requested information regarding study details and expert adjudication is not present in this document.
However, I can extract the acceptance criteria and performance data for the device based on the non-clinical performance tests presented.
Here's the information derived from the document:
1. A table of acceptance criteria and the reported device performance
| Physical Parameters | Acceptance Criteria (Standard ISO4823) | Reported Device Performance (K191034) |
|---|---|---|
| Consistency | ≤35mm | 31 mm |
| Working time | ≥1'30" | 2' |
| Detail reproduction | 50μm | complies (implicitly meets 50μm) |
| Linear dimensional change | ≤1.5% | 0.16% |
| Compatibility with gypsum | 50μm | complies (implicitly meets 50μm) |
| Elastic recovery | ≥96.5% | 99.06% |
| Strain-in-compression | >0.8% <20% | 2.73% |
2. Sample size used for the test set and the data provenance
The document does not explicitly state the sample sizes used for each physical property test. The data provenance is also not specified in terms of country of origin or whether the tests were retrospective or prospective, beyond indicating and referencing the ISO 4823 standard, which implies laboratory testing.
3. Number of experts used to establish the ground truth for the test set and the qualifications of those experts
This information is not applicable as the study involves non-clinical performance testing against a standard (ISO 4823), not clinical evaluation requiring expert consensus for ground truth.
4. Adjudication method for the test set
This information is not applicable for non-clinical performance testing.
5. If a multi reader multi case (MRMC) comparative effectiveness study was done, If so, what was the effect size of how much human readers improve with AI vs without AI assistance
No such study was conducted or is mentioned in the document. This is a material science characterization for a dental impression product, not an AI-assisted diagnostic or treatment device.
6. If a standalone (i.e. algorithm only without human-in-the-loop performance) was done
This information is not applicable. The device is a physical impression material, not an algorithm.
7. The type of ground truth used
The ground truth or benchmark used for the performance tests is the ISO 4823:2015 standard for dental elastomeric impression materials.
8. The sample size for the training set
This is not applicable. There is no "training set" as this is not an AI/algorithm-based device.
9. How the ground truth for the training set was established
This is not applicable for the reasons stated above.
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Image /page/0/Picture/0 description: The image shows the logo of the U.S. Food and Drug Administration (FDA). On the left is the Department of Health & Human Services logo. To the right of that is the FDA logo, with the letters "FDA" in a blue square, followed by the words "U.S. FOOD & DRUG" in large, bold, blue letters, and the word "ADMINISTRATION" in smaller, blue letters below.
September 4, 2019
Hygedent Inc. Peng Wang General Manager Room 210C, Building 4, No 5 Chaoqian Road, Science Industry Park, Changping Beijing, 102299 Cn
Re: K191034
Trade/Device Name: VPS Impression Material Regulation Number: 21 CFR 872.3660 Regulation Name: Impression Material Regulatory Class: Class II Product Code: ELW Dated: March 20, 2019 Received: April 18, 2019
Dear Peng Wang:
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. Although this letter refers to your product as a device, please be aware that some cleared products may instead be combination products. The 510(k) Premarket Notification Database located at https://www.accessdata.fda.gov/scripts/cdrh/cfdocs/cfpmn/pmn.cfm identifies combination product submissions. 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. Please note: CDRH does not evaluate information related to contract liability warranties. We remind you, however, that device labeling must be truthful and not misleading.
If your device is classified (see above) into either class II (Special Controls) or class III (PMA), it may be subject to 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, FDA may publish further announcements concerning your device in the Federal Register.
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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); medical device reporting of medical device-related adverse events) (21 CFR 803) for devices or postmarketing safety reporting (21 CFR 4, Subpart B) for combination products (see https://www.fda.gov/combination-products/guidance-regulatory-information/postmarketing-safety-reportingcombination-products); good manufacturing practice requirements as set forth in the quality systems (QS) regulation (21 CFR Part 820) for devices or current good manufacturing practices (21 CFR 4, Subpart A) for combination products; and, if applicable, the electronic product radiation control provisions (Sections 531-542 of the Act); 21 CFR 1000-1050.
Also, please note the regulation entitled, "Misbranding by reference to premarket notification" (21 CFR Part 807.97). For questions regarding the reporting of adverse events under the MDR regulation (21 CFR Part 803), please go to https://www.fda.gov/medical-device-safety/medical-device-reportingmdr-how-report-medical-device-problems.
For comprehensive regulatory information about medical devices and radiation-emitting products, including information about labeling regulations, please see Device Advice (https://www.fda.gov/medicaldevices/device-advice-comprehensive-regulatory-assistance) and CDRH Learn (https://www.fda.gov/training-and-continuing-education/cdrh-learn). Additionally, you may contact the Division of Industry and Consumer Education (DICE) to ask a question about a specific regulatory topic. See the DICE website (https://www.fda.gov/medical-device-advice-comprehensive-regulatoryassistance/contact-us-division-industry-and-consumer-education-dice) for more information or contact DICE by email (DICE@fda.hhs.gov) or phone (1-800-638-2041 or 301-796-7100).
Sincerely.
for Michael Adjodha Acting Assistant Director DHT1B: Division of Dental Devices OHT1: Office of Ophthalmic, Anesthesia, Respiratory, ENT and Dental Devices Office of Product Evaluation and Ouality Center for Devices and Radiological Health
Enclosure
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Indications for Use
510(k) Number (if known) K191034
Device Name VPS Impression Marterial
Indications for Use (Describe)
VPS Impression Material is intended for use with all crowns, bridges, occlusal and dental implant impression techniques to reproduce the structure of a patient's teeth and gums.
| Type of Use (Select one or both, as applicable) | |
|---|---|
| X Prescription Use (Part 21 CFR 801 Subpart D) | Over-The-Counter Use (21 CFR 801 Subpart C) |
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Chapter 6 510(k) Summary
In accordance with 21 CFR 807.92 the following summary of information is provided:
| Date: | 03/20/2019 | |||
|---|---|---|---|---|
| Submitter: | HYGEDENT INC | |||
| Add: | Room 210C, Building 4, No 5 Chaoqian Road , Science IndustryPark, Changping District, Beijing, P.R.China | |||
| Establishment | ||||
| Registration Number: | 3011187729 | |||
| Owner/OperatorNumber: | 10047045 | |||
| Primary ContactPerson: | Peng Wang (General Manager) | |||
| HYGEDENT INC. | ||||
| Tel: +85-13901284956 | ||||
| email: zoe.sun@hygedent.com | ||||
| US Agent: | RICHARD TING | |||
| TING ORTHODONTIC LAB,INC | ||||
| 2138 South Broad Street | ||||
| Philadelphia | ||||
| Phila , PA 19145 | ||||
| Phone: 215 4688168 Ext | ||||
| Fax: 215 4685335 | ||||
| Email: Tingdental@Yahoo.Com | ||||
| Device:Trade Name: | VPS Impression Material | |||
| Common/UsualName: | Impression Material | |||
| Classification Names: | Material Impression |
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| Regulation number: | 21 CFR 872.3660 |
|---|---|
| Product Code: | ELW |
| Predicate Device(s): | Primary Predicate Device:K040053: Discus Dental, Inc.Precision VPS Impression MaterialReference Predicate Device:K133071: Shandong Huge Dental Material CorporationElastomeric Impression Material |
| Device Description: | VPS Impression Material is dental Impression Material. It complieswith the requirements of ISO 4823:2015 for dental elastomericimpression materials. It is supplied as a two-part base/catalystformulation preloaded in a dual-barrel cartridge. The VPSImpression Material package includes four dual-barrel 50mlcartridges. |
| Comparison ofIndications for Use: | VPS Impression Material is intended for use with all crowns, bridges,occlusal and dental implant impression techniques to reproduce thestructure of a patient's teeth and gums.K040053: Precision VPS Impression Material is intended for usewith all crowns, bridges, occlusal and dental implant impressiontechniques to reproduce the structure of a patient's teeth and gums.K133071: A Silicone Dentistry-Elnstie Impression Material, withthe trade name of PERFIT. is an addition-cure vinyl polysiloxanedental impression material that is used far all crown and bridge,edentulous, orthodontic and implant impression techniques. |
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Indications for Use
Discussion: _ VPS Impression Material Is comparable to other vinyl Polysiloxane dental impression materials on the market, such as Precision VPS Impression Material (K040053) and Elastomeric Impression Material (K133071).the devices have the same intended use and except for minor differences in composition to achieve certain features such as rapid setting or elasticity, Strain-in-compression employ the same vinyl Polysiloxane chemistry. All three products may be employed in the same clinical applications. The difference between VPS Impression Material and the declared predicate devices lie in the selection and relative percentages of the additives, all of which are common for vinyl Polysiloxane impression materials.
Technology
- The technology for the proposed device VPS Impression Material is characteristics: comparable to the predicate device.VPS Impression Material is mainly composed of Vi-PDMS, Hydrogen-containing Silicone Oil, Catalyst, Inhibitor, Silica Powder and Filler. Vi-PDMS is used as the base polymer, Hydrogen-containing Silicone Oil as a crosslinking agent, Pt Catalyst as catalysts, Silica Fume is used as filler, Fumed Silica can be used as a filler for reinforcements. Besides, Inhibitor, Thinner, Pigments are added.
Technological
characteristics
Discussion: Proposed device and Primary Predicate Device (K040053), have the same raw materials,except for minor differences in proportion. This difference does not affect the safety and effectiveness.
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Performance data:
The physical properties of the proposed device and the predicate device are compared as following:
| PhysicalParameters | Proposeddevice | Primarypredicatedevice | Referencepredicatedevice | StandardISO4823 |
|---|---|---|---|---|
| K191034 | K040053 | K133071 | ||
| ShandongHuge DentalMaterialCorporation | ||||
| HygedentInc. | DiscusDental,Inc. | |||
| VPSImpressionMaterial | Precision VPSImpressionMaterial | ElastomericImpressionMaterial | ||
| Consistency | 31 | 32 | 31 | ≤35mm |
| Working time | 2' | 1'45" | 2' | ≥1'30" |
| Detailreproduction | complies | complies | complies | 50μm |
| Lineardimensionalchange | 0.16% | 0.18% | 0.20% | ≤1.5% |
| Compatibilitywith gypsum | complies | complies | complies | 50μm |
| Elasticrecovery | 99.06% | 99.0% | 98.98% | ≥96.5% |
| Strain-in-compression | 2.73% | 2.38% | 3.12% | >0.8% <20% |
Performance tests
Discussion:
Although there is little difference for Consistency, Working time, Linear dimensional change Elastic recovery, Strain in compression of Proposed device and Primary Predicate Device(K040053), Reference Predicate Device(K133071), they are complied with Standard ISO4823 recommendations. This difference does not affect the safety and effectiveness.
Page 6-4
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Summary of Non-Clinical Tests:
Performance testing was conducted to validate and verify that the proposed device met all design specifications and was substantially equivalence to the predicate device.
Results of performance testing indicate that the grounding pad meets applicable sections of the standards referenced and are sufficient for their intended use. The subject of this premarket submission,VPS Impression Material did not require clinical studies to support substantial equivalence.
Biocompatibility:
VPS Impression Material, the primary predicate device and Reference Predicate Device contacts directly with the oral mucosa (3-5 minutes). The duration of contact is less than 24 hours, therefore they are categorized as surface contact devices with limited contact duration. Testing was Performed for Cytoxicity (ISO 10993-5 ), Sensitizization and Irritation( ISO 10993-10).The test results demonstrate that the proposed device VPS Impression Material is biocompatible .
Conclusion:
The technical characteristics, material composition, principles of operation and indications for use of the proposed device VPS impression Material is comparable to the predicate device. The few differences do not affect the safety and effectiveness of the proposed device. Therefore, Hygedent Inc. considers that VPS Impression Material is substantially equivalent to the predicate device.
§ 872.3660 Impression material.
(a)
Identification. Impression material is a device composed of materials such as alginate or polysulfide intended to be placed on a preformed impression tray and used to reproduce the structure of a patient's teeth and gums. The device is intended to provide models for study and for production of restorative prosthetic devices, such as gold inlays and dentures.(b)
Classification. Class II (Special Controls).