Search Results
Found 2 results
510(k) Data Aggregation
(80 days)
The Cutera Optional Pulsed Light Hand Piece Family is indicated for use in the surgical, aesthetic and cosmetic applications requiring selective photothermolysis in the medical specialties of general and plastic surgery and dermatology.
The Cutera Optional Pulsed Light Hand Piece Family is intended for the treatment of:
- Tattoos;
- Benign pigmented lesions including dyschromia, hyperpigmentation, melasma, ephelides (freckles);
- Cutaneous lesions including warts, scars and striae;
- Benign cutaneous vascular lesions, including port wine stains, hemangiomas, facial, truncal and leg telangiectasias, roasacea, erythema of rosacea, angiomas and spider angiomas, poikiloderma of Civatte, leg veins and venous malformations;
- Psoriasis, vitiligo, atopic dermatitis (eczema), seborrheic dermatitis;
- Removal of unwanted hair from all skin types, and to effect stable long-term, or permanent, hair reduction; and
- Mild to moderate inflammatory acne vulgaris.
The pulsed light delivery hand pieces are comprised of four main components:
- an "umbilica!" cable and connector, that is permanently attached to the hand piece body and is semi-permanently attached to the console system (detachable by positive action from the user) that houses:
- electrical cables (to support the thermoelectric cooler associated with the chilled hand piece tip, to provide power and a trigger source to the xenon flash lamp, to provide detector signals and to connect a memory device that identifies the hand piece);
- a supply and return water line (to remove the heat generated by the flash lamp and thermoelectric cooler);
- the hand piece internals described above; and
- the hand piece housing the internals and connecting to the umbilical.
These hand pieces are accessories to be used on previously cleared Cutera console systems where the 510(k) permitted use of pulsed light (a.k.a. flash lamp) hand pieces.
The provided text is a 510(k) summary for the Cutera Optional Pulsed Light Hand Piece Family. It describes the device, its intended use, and its substantial equivalence to predicate devices. However, it does not contain any information about a clinical study with acceptance criteria and reported device performance data.
The document states: "The new indications for use are based upon the indications for use for predicate pulsed light device systems. Technologically, the Cutera Optional Pulsed Light Hand Piece Family is substantially equivalent to the listed predicate devices. Therefore the risks and benefits for the Cutera Optional Pulsed Light Hand Piece Family are comparable to the predicate devices. We therefore believe that there are no new questions of safety or effectiveness raised by the introduction of this device."
This explicitly indicates that the submission relies on the established safety and effectiveness of the predicate devices and does not present new study data to demonstrate compliance with specific acceptance criteria for the new device.
Therefore, I cannot fulfill your request for points 1-9 as the necessary information is not present in the provided text.
Ask a specific question about this device
(111 days)
The family of Altus Medical CoolGlide Aesthetic Lasers with Optional Pulsed Light Hand Piece are intended for use in the medical specialties of general and plastic surgery, dermatology, endoscopic/laproscopic general surgery, gastroenterology, gynecology, otorhinolaryngology (ENT), orthopedics, pulmonary/thoracic surgery and urology for surgical and aesthetic applications.
1064nm:
Dermatology:
The Altus Medical Aesthetic CoolGlide laser systems are intended for the coagulation and hemostasis of benign vascular lesions such as, but not limited to port wine stains, hemangiomas, warts, telangiectasia, rosacea, venus lake, leg veins and spider veins. The lasers are also intended for the treatment of benign pigmented lesions such as, but not limited to, lentigos (age spots), solar lentigos (sun spots), café au lait macules, seborrheic keratoses, nevi, chloasma, verrucae, skin tags, keratoses, tattoos(significant reduction in the intensity of black and/or blue/black tattoos) and plaques.
Additionally, the lasers are indicated for pigmented lesions to reduce lesion size, for patients with lesions that would potentially benefit from aggressive treatment, and for patients with lesions that have not responded to other laser treatments.
The CoolGlide lasers are also indicated for the treatment of wrinkles such as, but not limited to, periocular and periorbital wrinkles.
The CoolGlide lasers are also indicated for the removal of unwanted hair, for the stable long term. or permanent, hair reduction through selective targeting of melanin in hair follicles, and for the treatment for pseudofolliculitis barbae (PFB).
The lasers are also indicated for the reduction of red pigmentation in hypertrophic and keloid scars where vascularity is an integral part of the scar.
The CoolGlide lasers are indicated for use on all skin types (Fitzpatrick I-VI), including tanned skin.
The intended use of the integral cooling system in the Altus handpiece is to provide cooling of the skin prior to laser treatment, for the reduction of pain during laser treatment, to allow for the use of higher fluences for laser treatments such as hair removal and vascular lesions, and to reduce the potential side effects of laser treatments.
Optional Pulsed Light Hand Piece:
For the treatment of benign pigmented lesions.
Surgical Applications ::
The lasers are indicated for the incision/excision and cutting, ablation. coagulation/hemostatis of soft tissue in the performance of surgical applications in endosopy/laproscopy, gastroenterology, g general surgery, surgery, g head and neck/otorhinolaryngology (ENT), neurosurgery, oculoplastics, orthopedics, plastic surgery, pulmonary/thoracic surgery, gynecology (e.g. menorrhagia) and urology.
Indications for use (532nm):
For coagulation and hemostasis of vascular and cutaneous lesions in dermatology including, but not limited to, the following general categories: vascular lesions [angiomas, hemangiomas (port wine), telangiectasia (facial or extremities telangiectasias, venous anomalies, leg veins)]; benign pigmented lesions (nevi, lentigines, chloasma, café-au-lait, tattoos (red and green ink); verrucae; skin tags; keratoses; plaques; cutaneous lesion treatment (hemostasis, color lightening, blanching, flattening, reduction of lesion size).
The Altus Medical CoolGlide Aesthetic Lasers with Optional Pulsed Light Hand Piece are comprised of the following main components:
- · a laser system console (including software and control electronics);
- · a control and display panel;
- · a permanently attached fiberoptic-coupled handpiece;
- · a skin cooling device integrated into the handpiece;
- a footswitch
- · a remote interlock connector (disables laser when treatment room door is opened)
- · optional pulsed light hand piece that can be removed by either the user or a qualified service person.
The provided text is a 510(k) summary for the Altus Medical CoolGlide Aesthetic Lasers with Optional Pulsed Light Hand Piece. This document is a premarket notification for a medical device seeking substantial equivalence to existing devices, not a study reporting specific performance metrics against acceptance criteria for a new, novel AI/software-as-a-medical-device (SaMD) product.
Therefore, the document does not contain the kind of detailed information requested about acceptance criteria, specific device performance, study methodology, sample sizes for test/training sets, expert qualifications, ground truth establishment, or multi-reader multi-case (MRMC) studies for an AI/SaMD.
The document primarily focuses on:
- Predicate Devices: Identifying existing legally marketed devices to which the new device is substantially equivalent.
- Indications for Use: Listing the medical conditions and applications for which the device is intended.
- Technological Equivalence: Stating that the new device shares similar design features and functional features with predicate devices.
- Safety and Effectiveness: Concluding that no new questions of safety or effectiveness are raised because it's substantially equivalent to existing devices.
Based on the provided text, I cannot fill out the requested table or provide the specific details of a study proving the device meets acceptance criteria. The document does not describe a study in the sense of demonstrating a novel device's performance against predefined metrics, but rather argues for substantial equivalence to devices already on the market.
Here's why the requested information cannot be extracted from this document:
- Acceptance Criteria and Reported Device Performance: No specific quantitative acceptance criteria (e.g., sensitivity, specificity, accuracy thresholds) or corresponding reported device performance metrics are provided. The "performance" is implicitly tied to being "substantially equivalent" to predicate devices, meaning it performs similarly to already cleared devices for the stated indications.
- Sample Size for Test Set and Data Provenance: This information is not relevant to a substantial equivalence argument based on predicate devices. There is no independent "test set" described for performance validation.
- Number of Experts and Qualifications for Ground Truth: Not applicable, as there's no independent ground truth establishment for a novel performance claim.
- Adjudication Method: Not applicable.
- MRMC Comparative Effectiveness Study: Not mentioned, as this is typically for evaluating human performance with and without AI assistance, which is not the context here.
- Standalone Performance: While the device functions as standalone hardware, there isn't a "standalone algorithm performance" study as would be seen for AI/SaMD.
- Type of Ground Truth: No specific ground truth is described as being used for performance validation of this device.
- Sample Size for Training Set: Not applicable, as this is not an AI/ML device that requires a training set.
- How Ground Truth for Training Set was Established: Not applicable.
In summary, this document is a regulatory submission for a medical device based on substantial equivalence, not a scientific publication detailing performance studies for a novel or AI-powered device.
Ask a specific question about this device
Page 1 of 1