K Number
K991537
Device Name
SAMSUNG RAYPAX SYSTEM
Date Cleared
1999-07-06

(64 days)

Product Code
Regulation Number
892.2020
AI/MLSaMDIVD (In Vitro Diagnostic)TherapeuticDiagnosticis PCCP Authorized
Intended Use
The Samsung RAYPAX™ is a device that receives digital images and data from various sources (including but not limited to CT scanners, MR scanners, ultrasound systems, R/F Units, computed & direct radiographic devices, secondary capture devices, scanners, imaging gateways or other imaging sources). Images and data can be stored, communicated, processed and displayed within the system and or across computer networks at distributed locations.
Device Description
The Samsung RAYPAX™ system handles various objects in a Picture Archive and Communication System (PACS) environment. These objects can be images, requests, patients, examination etc. PACS transmits digital electronic images and generates reports over a high-speed network to centralized storage. After transmission, patient information and images are available throughout the facility to many users simultaneously.
More Information

Not Found

No
The document describes a standard PACS system for image storage, communication, and display. There is no mention of AI, ML, or any related technologies in the provided text.

No.
The device is a Picture Archive and Communication System (PACS) that stores, communicates, processes, and displays medical images and data. It does not directly treat or diagnose conditions.

No
The device is described as a Picture Archive and Communication System (PACS) that stores, communicates, processes, and displays medical images and data. It does not perform actual diagnostic analysis or interpretation on the images to aid in diagnosis.

Yes

The device description and intended use clearly define the Samsung RAYPAX™ as a system that receives, stores, communicates, processes, and displays digital images and data within a PACS environment. This functionality is inherently software-based, managing digital information and network communication. While it interacts with hardware (imaging sources and display devices), the core medical device functionality described is the software system itself.

Based on the provided information, the Samsung RAYPAX™ is not an IVD (In Vitro Diagnostic).

Here's why:

  • Intended Use: The intended use describes a system for receiving, storing, communicating, processing, and displaying digital images and data from various medical imaging modalities. This is characteristic of a Picture Archiving and Communication System (PACS).
  • Device Description: The description further clarifies that it handles objects within a PACS environment, transmitting images and reports over a network for access by multiple users.
  • Lack of IVD Characteristics: An IVD is a medical device used to perform tests on samples taken from the human body (like blood, urine, tissue) to provide information about a person's health. The provided description does not mention any interaction with biological samples or performing diagnostic tests on them.
  • Input Modalities: The input modalities are imaging devices (CT, MR, ultrasound, etc.), which produce images of the body, not results from laboratory tests on biological samples.

The Samsung RAYPAX™ is clearly described as a system for managing and displaying medical images, which falls under the category of medical imaging software or a PACS, not an IVD.

N/A

Intended Use / Indications for Use

The Samsung RAYPAX™ is a device that receives digital images and data from various sources (including but not limited to CT scanners, MR scanners, ultrasound systems, R/F Units, computed & direct radiographic devices, secondary capture devices, scanners, imaging gateways or other imaging sources). Images and data can be stored, communicated, processed and displayed within the system and or across computer networks at distributed locations.

Product codes

LMD

Device Description

The Samsung RAYPAX™ system handles various objects in a Picture Archive and Communication System (PACS) environment. These objects can be images, requests, patients, examination etc. PACS transmits digital electronic images and generates reports over a high-speed network to centralized storage. After transmission, patient information and images are available throughout the facility to many users simultaneously.

Mentions image processing

Yes

Mentions AI, DNN, or ML

Not Found

Input Imaging Modality

CT scanners, MR scanners, ultrasound systems, R/F Units, computed & direct radiographic devices, secondary capture devices, scanners, imaging gateways or other imaging sources

Anatomical Site

Not Found

Indicated Patient Age Range

Not Found

Intended User / Care Setting

Typical users of this system are trained professionals, including but not limited to physicians, nurses, and technicians.

Description of the training set, sample size, data source, and annotation protocol

Not Found

Description of the test set, sample size, data source, and annotation protocol

Not Found

Summary of Performance Studies

Not Found

Key Metrics

Not Found

Predicate Device(s)

K922164

Reference Device(s)

Not Found

Predetermined Change Control Plan (PCCP) - All Relevant Information

Not Found

§ 892.2020 Medical image communications device.

(a)
Identification. A medical image communications device provides electronic transfer of medical image data between medical devices. It may include a physical communications medium, modems, and interfaces. It may provide simple image review software functionality for medical image processing and manipulation, such as grayscale window and level, zoom and pan, user delineated geometric measurements, compression, or user added image annotations. The device does not perform advanced image processing or complex quantitative functions. This does not include electronic transfer of medical image software functions.(b)
Classification. Class I (general controls). The device is exempt from the premarket notification procedures in subpart E of part 807 of this chapter subject to § 892.9.

0

JUL - 6 1999

510(k) Summary of Safety and Effectiveness

1991537

This 510(k) summary of safety and effectiveness information is being submitted in accordance with the requirements of SMDA 1990.

Date Prepared:

April 17, 1999

Submitter's Information: 21 CFR 807.92(a)(1)

SAMSUNG SDS CO., LTD 707-19, Yoksam-Dong, Kangnam-Gu, Seoul, Korea, 135-080

Trade Name, Common Name and Classification: 21 CFR 807.92(a)(2)

Samsung RAYPAX™ System Trade Name: Common Name: Digital Imaging System Device Classification System, Digital Image Communications, accessory Name:

Predicate Device: 21 cFR 807. 92(a)(3)

Manufacturer:Olicon Imaging Systems, Inc.
Device:RAYTEL TM DIGITAL IMAGING SYSTEMS
510(k) Number:K922164
Date Received:05/08/92
Decision Date:01/21/93
Decision:Substantially Equivalent
Panel Code device reviewed by:Radiology
Panel Code device classified by:Radiology
Product Code:LMD
Classification:Class II

Device Description: 21 cFR 807 92(a)(4)

The Samsung RAYPAX™ system handles various objects in a Picture Archive and Communication System (PACS) environment. These objects can be images, requests, patients, examination etc. PACS transmits digital electronic images and generates reports over a high-speed network to centralized storage. After transmission, patient information and images are available throughout the facility to many users simultaneously.

Indications for Use: 21 CFR 807 92(a)(5)

The Samsung RAYPAX™ is a device that receives digital images and data from various sources (including but not limited to CT scanners, MR scanners, ultrasound systems, R/F Units, computed & direct radiographic devices, secondary capture devices, scanners, imaging gateways or other imaging sources). Images and data can be stored, communicated, processed and

1

displayed within the system and or across computer networks at distributed locations. Typical users of this system are trained professionals, including but not limited to physicians, nurses, and technicians.

Technological Characteristics: 21 CFR 807 92(a)(6)

The device does not contact the patient, nor does it control any life sustaining devices. A physician, providing ample opportunity for competent human intervention interprets images and information being printed.

Conclusion: 21 CFR 807 92(b)(1)

The 510(k) Pre-Market Notification for the above referenced device contains adequate information and data to enable FDA - CDRH to determine substantial equivalence to the predicate device.

  • RAYPAX™ system has been and will be manufactured in accordance 1. with the voluntary standards listed in the enclosed voluntary standard survey.
    1. The submission contains the results of a hazard analysis. All potential hazards have been classified as Minor.

2

DEPARTMENT OF HEALTH & HUMAN SERVICES

Public Health Service

Rockville MD 20850

Food and Drug Administration 9200 Corporate Boulevard

JUL - 6 1999

Samsung SDS Co., Ltd. C/o Herman Oosterwicjk 2001 East Oakshores Drive Crossroads. Texas 76227

RE:

K991537 Samsung Raypax System Image Communications and Storage Device Dated: April 19, 1999 Received: May 3, 1999 Regulatory Class: I 21 CFR 892.2020/90 LMD

Dear Mr. Oosterwicjk:

We have reviewed your Section 510(k) notification of intent to market the device referenced above and we 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. 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 dass III (Premarket Approval), 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 895. A substantially equivalent determination assumes compliance with the Current Good Manufacturing Practice requirements, as set forth in the Quality System Regulation (QS) for Medical Devices: General regulation (21 CFR Part 820) and that, through periodic QS inspections, the Food and Drug Administration (FDA) will verify such assumptions. Failure to comply with the GMP regulation may result in regulatory action. In addition, FDA may publish further announcements concerning your device in the Federal Register. Please note: this response to your premarket notification submission does not affect any obligation you might have under sections 531 through 542 of the Act for devices under the Electronic Product Radiation Control provisions, or other Federal laws or regulations.

This letter will allow you to begin marketing your device as described in your 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 and additionally 809.10 for in vitro diagnostic devices), please contact the Office of Compliance at (301) 594-4613. Additionally, for questions on the promotion and advertising of your device, please contact the Office of Compliance at (301) 594-4639. Also, please note the regulation entitled, "Misbranding by reference to premarket notification"(21 CFR 807.97). Other general information on your responsibilities under the Act may be obtained from the Division of Small Manufacturers Assistance at its toll-free number (800) 638-2041 or (301) 443-6597, or at its internet address "http://www.fda.gov/cdrh/dsma/dsmamain.html".

Sincerely yours,
Dan Petit

CAPT Daniel G. Schultz, M.D. Acting Director. Division of Reproductive. Abdominal. Ear. Nose and Throat. and Radiological Devices Office of Device Evaluation Center for Devices and Radiological Health

Enclosure

Image /page/2/Picture/14 description: The image is a black and white logo for the Department of Health & Human Services - USA. The logo features a circular design with the text "DEPARTMENT OF HEALTH & HUMAN SERVICES-USA" arranged around the top half of the circle. Inside the circle is a stylized image of an eagle or bird in flight, represented by three curved lines that suggest the wings and body of the bird.

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(Indications for Use Form)

510(k) Number: _______________________________________________________________________________________________________________________________________________________________

Device Name:

Samsung SDS Co. Ltd. RAYPAX™ System

Indications for Use:

The Samsung RAYPAX™ is a device that receives digital images and data from various sources (including but not limited to CT scanners, MR scanners, ultrasound systems, R/F Units, computed & direct radiographic devices, secondary capture devices, scanners, imaging gateways or other imaging sources). Images and data can be stored, communicated, processed and displayed within the system and or across computer networks at distributed locations.

:

Typical users of this system are trained professionals, including but not limited to physicians, nurses, and technicians.

(PLEASE DO NOT WRITE BELOW THIS LINE - CONTINUE ON ANOTHER PAGE IF

NEEDED)

Concurrence of CDRH, Office of Device Evaluation (ODE)
(Division Sign-Off) Division of Reproductive, Abdominal, ENT, and Radiological Devices
510(k) NumberK991537
Prescription UseOROver-The-Counter Use
(Per 21 CFR 801.109)
(Optional Format 1-2-96)