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510(k) Data Aggregation
(9 days)
The Transvaginal Doppler Probe is intended for bilateral detection of uterine blood vessels.
Intended Use: Diagnostic ultrasound imaging or fluid flow analysis of the human body as follows: Transvaginal
The Transvaginal Doppler Probe is a ring-handled instrument with integrated Doppler sensors, which allow for bilateral blood flow sensing of the uterine blood vessels by connecting to a commercially available portable transceiver box. The Transvaginal Doppler Probe is manufactured from stainless steel.
This document describes a 510(k) premarket notification for a Vascular Control Systems, Inc. Transvaginal Doppler Probe (K031358). This type of submission focuses on demonstrating substantial equivalence to a legally marketed predicate device, rather than providing extensive clinical study data for new claims. Therefore, the information regarding acceptance criteria and detailed study performance as typically found for novel devices with specific performance claims is limited.
However, based on the provided text, here's an analysis:
1. Table of Acceptance Criteria and Reported Device Performance
| Acceptance Criteria Category | Specific Criteria/Test | Reported Device Performance |
|---|---|---|
| Electrical Safety | Compliance with IEC 60601-1 | Designed and tested to comply with IEC 60601-1 |
| Thermal Safety | Compliance with IEC 60601-1 | Designed and tested to comply with IEC 60601-1 |
| Acoustic Output | Measurements in accordance with FDA Guidance (Appendix G) | Acoustic output measurements performed; detailed results not explicitly stated in summary but implies compliance for "reliable performance" |
| Performance Reliability | Reliable performance during testing | Test results indicate reliable performance when used as instructed. |
| Substantial Equivalence | Comparison to predicate device (K023024) | Demonstrated substantial equivalence in intended use, technological characteristics (8 MHz pulsed-wave Doppler sensor, distal crystal location, stainless steel construction). |
2. Sample Size Used for the Test Set and Data Provenance
The document does not describe a specific clinical "test set" in the context of efficacy or diagnostic performance. The testing mentioned (electrical, thermal, acoustic output) are non-clinical engineering and safety tests. Thus, this information is not applicable or provided for a clinical test set.
3. Number of Experts Used to Establish Ground Truth for the Test Set and Qualifications
This information is not applicable as the document does not describe a clinical study requiring expert-established ground truth for a test set.
4. Adjudication Method for the Test Set
This information is not applicable as the document does not describe a clinical study requiring adjudication for a test set.
5. If a Multi-Reader Multi-Case (MRMC) Comparative Effectiveness Study Was Done
No, an MRMC comparative effectiveness study was not done. The submission is a 510(k) demonstrating substantial equivalence through non-clinical testing and comparison to a predicate device, not a comparative clinical trial.
6. If a Standalone (i.e., algorithm only without human-in-the-loop performance) Was Done
This device is not an algorithm, but rather a physical probe (transducer) that connects to a transceiver box. Therefore, the concept of "standalone algorithm performance" is not applicable. The device's performance is inherently linked to its use by a human operator with the transceiver.
7. The Type of Ground Truth Used
For the non-clinical tests (electrical, thermal, acoustic output), the "ground truth" would be established by physical measurements and adherence to international standards (IEC 60601-1) and FDA guidance documents for acoustic output.
For the substantial equivalence claim, the "ground truth" is the established characteristics and performance of the predicate device (K023024).
8. The Sample Size for the Training Set
This information is not applicable as this device does not involve a machine learning algorithm that requires a training set. The "training" here refers to manufacturing and design to meet specified engineering and safety standards.
9. How the Ground Truth for the Training Set Was Established
This information is not applicable for the reasons stated above. The "ground truth" for manufacturing and design would be engineering specifications and regulatory standards.
Summary of Device and Evidence:
The Vascular Control Systems, Inc. Transvaginal Doppler Probe is an 8 MHz pulsed-wave Doppler sensor intended for bilateral detection of uterine blood vessels. Its 510(k) clearance was based on demonstrating substantial equivalence to its own previously cleared device (K023024).
The primary evidence presented for meeting "acceptance criteria" (though not explicitly framed as such with specific numerical targets in the summary) is:
- Compliance with IEC 60601-1 for electrical and thermal safety.
- Acoustic output measurements performed in accordance with FDA guidance, which implicitly met acceptable levels to ensure "reliable performance" and no "new issues of safety, effectiveness, or performance."
- Technological similarity to the predicate device, including the 8 MHz pulsed-wave Doppler sensor, distal crystal location, and stainless steel construction, which supports the claim of similar performance for the stated intended use.
The submission is a regulatory pathway for devices considered substantially equivalent, and therefore, it does not typically involve detailed clinical studies with specific performance metrics against clinical ground truth, expert adjudication, or MRMC studies for human reader improvement. The focus is on demonstrating that the new device is as safe and effective as a legally marketed one.
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