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510(k) Data Aggregation

    K Number
    K180590
    Manufacturer
    Date Cleared
    2018-07-06

    (122 days)

    Product Code
    Regulation Number
    888.3080
    Reference & Predicate Devices
    Why did this record match?
    Device Name :

    Tyber Medical PT Interbody Spacer System

    AI/MLSaMDIVD (In Vitro Diagnostic)TherapeuticDiagnosticis PCCP AuthorizedThirdpartyExpeditedreview
    Intended Use

    Cervical System Indications:
    The Tyber Medical PT Interbody Spacer System is indicated for use as an intervertebral body fusion device in sketally mature patients with degenerative disc disease (defined as discogenic back pain with degeneration of the disc confirmed by patient history and radiographic studies) at one level of the cervical spine with accompanying radicular symptoms. Patients should have six weeks of non-operative treatment prior to surgery. Cervical implants are used to faciliate fusion in the cervical spine (C2-T1) and are placed via an anterior approach using autogenous bone and/or allogenic bone graft comprised of cancellous and/or corticocancellous bone graft. When used as an interbody fusion device, supplemental fixation must be used.

    Lumbar System Indications:
    The Tyber Medical PT Interbody Spacer System is indicated for use as intervertebral body fusion devices in skeletally mature patients with degenerative disc disease (defined as discogenic back pain with degeneration of the disc confirmed by patient history and radiographic studies) at one or two contiguous levels of the lumbar spine (L2-S1). DDD patients may have up to Grade 1 spondylolisthesis or retrolisthesis at the involved levels. These patients may also have had a previous non-fusion spinal surgery at the involved spinal level(s). Additionally, the Tyber Medical PT Interbody System can be used in patients diagnosed with spinal deformities as an adjunct to fusion. Patients should have six weeks of nonoperative treatment prior to surgery. These implants are used to facilitate fusion in the lumbar spine and are placed via either a posterior, transforaminal, lateral or anterior approach using autograft and/or allogenic bone graft comprised of cancellous and/or corticocancellous bone graft. When used as interbody fusion devices these implants are intended for use with supplemental fixation systems cleared for use in the thoracolumbar spine.

    Device Description

    This submission is to update language in the Indications for Use, and update language in the package insert in reference to MR testing.

    There is no change with this submission from the primary predicate.

    This submission does not change or add any new instruments.

    The Tyber Medical PT Interbody System, manufactured from PEEK-Optima® LT1, with a plasma-sprayed integrated commercially pure titanium. The system consists of implants available in various foot prints, heights, and lordotic configurations with an open architecture to accept packing of bone graft materials. The exterior of the device has "teeth" or other generally sharp engagement members on the superior and inferior surfaces to help prevent the device from migrating once it is surgically positioned.

    AI/ML Overview

    The provided text is a 510(k) summary for the Tyber Medical PT Interbody Spacer System, which is a medical device. This document focuses on demonstrating substantial equivalence to a predicate device, rather than proving that an AI/ML powered device meets acceptance criteria through a specific study.

    Therefore, the information requested about acceptance criteria, device performance, sample sizes, ground truth establishment, expert qualifications, adjudication methods, multi-reader multi-case studies, and standalone performance studies for an AI/ML device is not present in this document.

    The document states:

    • "No new mechanical testing was performed, because there is no change to the device."
    • "MR testing was performed per ASTM F2052-15, ASTM F2119-07, ASTM F2213-06, ASTM F2503-13 & ASTM F2182-11a." (This refers to MRI compatibility testing, not AI performance.)
    • "Clinical data and conclusions were not needed for this device."

    This indicates that the submission relies on the prior clearance of the predicate device and standard non-clinical testing (like MR compatibility and mechanical testing) to establish substantial equivalence for a physical implant, not the performance of an AI/ML algorithm.

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    K Number
    K172185
    Manufacturer
    Date Cleared
    2017-12-21

    (154 days)

    Product Code
    Regulation Number
    888.3080
    Reference & Predicate Devices
    Why did this record match?
    Device Name :

    Tyber Medical PT Interbody Spacer System

    AI/MLSaMDIVD (In Vitro Diagnostic)TherapeuticDiagnosticis PCCP AuthorizedThirdpartyExpeditedreview
    Intended Use

    Lumbar System Indications
    The Tyber Medical PT Interbody System is indicated for use as intervertebral body fusion devices in skeletally mature patients with degenerative disc disease (defined as discogenic back pain with degeneration of the disc confirmed by patient history and radiographic studies) at one or two contiguous levels of the lumbar spine (L2-S1). Patients should have six months of non-operative treatment prior to surgery. These implants are used to facilitate fusion in the lumbar spine and are placed via either a posterior, transforaminal, lateral or anterior approach using autogenous bone. When used as interbody fusion devices these implants are intended for use with supplemental fixation systems cleared for use in the thoracolumbar spine.
    Cervical System Indications
    The Tyber Medical PT Interbody System is indicated for use as an intervertebral body fusion device in skeletally mature patients with degenerative disc disease (defined as discogenic back pain with degeneration of the disc confirmed by patient history and radiographic studies) at one level of the cervical spine with accompanying radicular symptoms. Patients should have six weeks of non-operative treatment prior to surgery. Cervical implants are used to facilitate fusion in the cervical spine (C2-T1) and are placed via an anterior approach using autogenous bone. When used as an interbody fusion device, supplemental fixation must be used.

    Device Description

    This submission is to add additional shape configurations, with an optional optimized coating process, to the previously cleared interbody system.
    This submission does not include any new instruments. However, part of the changes to implants, were made to interface with instruments that were cleared with previous submissions.
    The Tyber Medical PT Interbody System, manufactured from PEEK-Optima®, consist of implants available in various foot prints, heights, and lordotic configurations with an open architecture to accept packing of bone graft materials. The exterior of the device has "teeth" or other generally sharp engagement members on the superior and inferior surfaces to help prevent the device from migrating once it is surgically positioned. The device comes in PEEK with a plasma-sprayed commercially pure titanium coating.

    AI/ML Overview

    The provided document is a 510(k) summary for the Tyber Medical PT Interbody Spacer System, which is a medical device for spinal fusion. This specific document outlines the product's regulatory submission to the FDA, demonstrating its substantial equivalence to previously cleared predicate devices.

    Critical Analysis of the Document:

    It is crucial to understand that a 510(k) submission, like the one presented, does not involve a clinical study in the way one might typically think of an "AI clinical trial" or a "diagnostic device performance study." Instead, it focuses on demonstrating substantial equivalence to an already legally marketed device. This means the manufacturer is showing that the new device is as safe and effective as a device that is already on the market, usually by comparing mechanical properties, materials, design, and intended use.

    Therefore, the specific questions regarding acceptance criteria, sample sizes, expert ground truth, adjudication methods, MRMC studies, standalone performance of an AI algorithm, and training sets are not applicable in the context of this 510(k) submission. This document pertains to a physical implantable device, not an AI software/algorithm.

    Addressing the Prompts Based on the Provided Document:

    Given the nature of the document (a 510(k) for a physical medical implant), the requested information as it relates to AI/software performance is not present. However, I can extract the relevant information about the device's performance testing as detailed in the document, which primarily focuses on non-clinical (mechanical) testing.


    Response to the Request:

    The provided document describes a 510(k) premarket notification for a physical medical device, the "Tyber Medical PT Interbody Spacer System," which is an implant used for intervertebral body fusion. This type of regulatory submission aims to demonstrate "substantial equivalence" to a legally marketed predicate device, rather than proving performance through a clinical study involving human patients in the way an AI or diagnostic device would. Therefore, many of the questions asked, particularly those related to AI algorithm performance, human-in-the-loop studies, and the specifics of clinical ground truth establishment, are not applicable to this document.

    The "acceptance criteria" and "study that proves the device meets the acceptance criteria" in this context refer to the mechanical and biological testing performed to demonstrate that the new device is as safe and effective as its predicate.

    Here's an breakdown based on the information available in the document:

    1. Table of Acceptance Criteria and Reported Device Performance:

    The document implicitly defines "acceptance criteria" for substantial equivalence based on mechanical testing compared to the predicate device. The performance results are framed as successfully meeting these comparative standards.

    Acceptance Criteria (Implicit)Reported Device Performance (as stated in the document)
    Mechanical Properties (Static and Dynamic Compression) per ASTM F2077, comparable to predicate."The following tests were performed on the Tyber Medical PT Interbody Spacer and the results were compared to with the previously cleared 510k K130573: Static and Dynamic Compression Test per ASTM F2077... The addition of the new interbody device does not add a new worst-case device for mechanical testing purposes, as demonstrated by mechanical test results." The conclusion states: "The new Tyber Medical PT Interbody System is substantially equivalent to the predicate device because the material, tooth profile, worst case construct, smallest cross sectional and manufacturing process are all unchanged."
    Mechanical Properties (Static and Dynamic Compression Shear) per ASTM F2077, comparable to predicate."Static and Dynamic Compression Shear per ASTM F2077..." (Results are implicitly comparable to predicate, leading to substantial equivalence conclusion).
    Mechanical Properties (Wear Debris) per ASTM F2077 and ASTM F1877, comparable to predicate."Wear Debris per ASTM F2077 and ASTM F1877..." (Results are implicitly comparable to predicate, leading to substantial equivalence conclusion).
    Mechanical Properties (Static Torsion) per ASTM F2077, comparable to predicate."Static Torsion per ASTM F2077..." (Results are implicitly comparable to predicate, leading to substantial equivalence conclusion).
    Biocompatibility (Pyrogenicity) per ST72:2011, acceptable."Pyrogenicity testing was performed per ST72:2011." (Results implicitly met the standard for device to be considered substantially equivalent).
    Equivalence in Material, Tooth Profile, Worst Case Construct, Smallest Cross Sectional & Manufacturing Process to Predicate."The new Tyber Medical PT Interbody System is substantially equivalent to the predicate device because the material, tooth profile, worst case construct, smallest cross sectional and manufacturing process are all unchanged."

    2. Sample Size Used for the Test Set and Data Provenance:

    • Sample Size: Not explicitly stated for each mechanical test. Mechanical testing typically involves a small, statistically justified number of physical samples (e.g., 5-10 per test condition) rather than a large "dataset" of patient cases.
    • Data Provenance: The data comes from non-clinical performance testing of the device itself (physical samples), not from patients or clinical studies. No geographical or temporal provenance for "data" in the sense of patient records is applicable. The tests were conducted according to specified ASTM and ST standards.

    3. Number of Experts Used to Establish Ground Truth for the Test Set and Qualifications:

    • Not applicable. This relates to physical device testing, not the establishment of ground truth by clinical experts for a diagnostic or AI algorithm.

    4. Adjudication Method for the Test Set:

    • Not applicable. Adjudication is relevant for interpreting patient data, such as images or clinical outcomes, often in the context of diagnostic performance or clinical trials. This document describes mechanical device testing.

    5. Multi-Reader Multi-Case (MRMC) Comparative Effectiveness Study:

    • No, not performed. This type of study is relevant for evaluating the impact of AI or diagnostic tools on human reader performance, which is not the subject of this 510(k) submission for a physical implant.

    6. Standalone (Algorithm Only Without Human-in-the-Loop Performance) Study:

    • Not applicable. This refers to the evaluation of AI algorithms. The Tyber Medical PT Interbody Spacer System is a physical medical device, not an algorithm.

    7. Type of Ground Truth Used:

    • Engineering/Mechanical Test Standards: The "ground truth" for the device's performance is established by the well-defined, standardized test methods (e.g., ASTM F2077, ASTM F1877, ST72:2011) and the comparison of results against predetermined acceptance criteria derived from the predicate device's performance.

    8. Sample Size for the Training Set:

    • Not applicable. This concept pertains to machine learning algorithms. The device undergoes manufacturing and quality control processes, but there isn't a "training set" in the AI sense.

    9. How the Ground Truth for the Training Set Was Established:

    • Not applicable. See point 8.

    Summary of Device and its Proof of Meeting Criteria (from document's perspective):

    The Tyber Medical PT Interbody Spacer System is an intervertebral body fusion device made from PEEK-Optima® with an optional titanium coating. It is intended to facilitate spinal fusion in skeletally mature patients with degenerative disc disease. The device comes in various shapes and sizes to accommodate lumbar (L2-S1) and cervical (C2-T1) spine applications.

    Proof of Meeting Criteria (Substantial Equivalence):

    The manufacturer demonstrated that the new device meets the criteria for "substantial equivalence" to its previously cleared predicate device (Tyber Medical Interbody Spacer System K130573) and other additional predicates (Synthes ACIS, DePuy Spine Concorde Curve, DePuy Spine Lateral System, Aesculap ASpace, CESpace, Prospace, T-Space). This was established through non-clinical performance data (mechanical and biocompatibility testing).

    The key argument for substantial equivalence is that:

    • The indications for use are the same.
    • The design, materials, application, and anatomic mechanical properties are considered identical or have been shown to be equivalent through testing.
    • The mechanical tests (Static and Dynamic Compression, Compression Shear, Wear Debris, Static Torsion per ASTM F2077, F1877) and pyrogenicity testing (per ST72:2011) demonstrate that the new device's performance is comparable to the predicate and that the new configurations do not introduce a "new worst-case" scenario for mechanical performance.
    • The material, tooth profile, worst-case construct, smallest cross-sectional area, and manufacturing process are unchanged from the predicate, further supporting equivalence.

    The FDA's determination of substantial equivalence indicates that, based on the provided non-clinical data, the device is considered as safe and effective as a legally marketed device and can be marketed without requiring a premarket approval application (PMA) which typically involves more extensive clinical trial data.

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