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510(k) Data Aggregation

    K Number
    K203344
    Date Cleared
    2021-08-25

    (285 days)

    Product Code
    Regulation Number
    872.3630
    Reference & Predicate Devices
    Why did this record match?
    Reference Devices :

    K140806, K152520, K153350, K162099, K173120, K192197

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

    Premilled Titanium Block System is intended for use with dental implants as a support for single or multiple tooth prostheses in the maxilla or mandible of a partially or fully edentulous patient.

    Device Description

    Patient-specific abutment is made from titanium alloy conforming to ASTM F136 titanium abutment to be used in fabricating patient-specific abutments. The subject abutments are indicated for cemented or "Screw-and Cement-Retained Prosthesis(SCRP)" restorations. Each patient-specific abutment is individually prescribed by the clinician.

    The subject Premilled Titanium Block System has two types of blocks, Premilled Titanium Block (Hex, Non-Hex) and Magic Premilled Titanium Block (Hex, Non-hex) based on the compatible implant system.

    AI/ML Overview

    This document describes a 510(k) premarket notification for the "Premilled Titanium Block System" by InnoBioSurg Co., Ltd. The submission aims to demonstrate substantial equivalence to a legally marketed predicate device. This type of submission focuses on comparing the new device to an existing one, rather than conducting a de novo study to establish new performance criteria. Therefore, the information provided below is extracted based on the principles of substantial equivalence as demonstrated by the provided document.

    1. Table of Acceptance Criteria and Reported Device Performance

    The document does not specify general "acceptance criteria" in terms of clinical performance metrics like sensitivity, specificity, or accuracy for the device itself, as this is a dental abutment system and not an AI/diagnostic device. Instead, the "acceptance criteria" can be inferred from the non-clinical testing performed to establish substantial equivalence with the predicate device. The performance is assessed against established standards for dental implants and abutments.

    Acceptance Criterion (Inferred from testing standards)Reported Device Performance
    Fatigue Resistance: Compliance with ISO 14801:2016 for dental implants (Worst-case scenario: smallest diameter with maximum angulation)Met the criteria of the standard (Demonstrated in non-clinical testing)
    Biocompatibility: Compliance with ISO 10993-1:2009, ISO 10993-5:2009, ISO 10993-6:2007, and ISO 10993-10:2010Met the criteria of the standard (Leveraged from predicate devices)
    End User Sterilization Validation: Compliance with ANSI/AAMI ST79, ISO 17665-1, ISO 17665-2, ISO 11737-1, ISO 11737-2, and ISO 11138-1Met the criteria of the standard (Leveraged from predicate devices)
    Substantial Equivalence: Similar designs, dimensions, material, indications, abutment seat, screw seat, anatomical site, connection, and technological characteristics to the predicate deviceDemonstrated (Based on comparison and non-clinical test results)

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

    For the fatigue tests performed on the subject device:

    • Sample Size: The document indicates that fatigue tests were conducted "under the worst-case scenario." While a specific number isn't given, standard ISO 14801 testing protocols usually involve a predefined number of samples (often 10 for each test condition) to establish fatigue limits. It specifies only the "worst-case scenario" (smallest diameter with maximum angulation) was tested for the new device.
    • Data Provenance: Not explicitly stated (e.g., country of origin). It is a non-clinical, mechanical test, not patient data. The study type is a laboratory-based equivalency testing study, not retrospective or prospective clinical data.

    For biocompatibility and sterilization validation tests:

    • These tests were leveraged from predicate devices (K152520, K173120, K192197). This means new tests with a specific sample size for the subject device were not performed for these aspects. The sample sizes and provenance for these predicate studies are not detailed in this document.

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

    N/A. This document describes a submission for a mechanical dental device (abutment system) based on substantial equivalence and non-clinical testing, not an AI/diagnostic device that requires expert-established ground truth for a test set. There were no human readers or expert panels involved in determining the "ground truth" for the non-clinical tests described.

    4. Adjudication Method for the Test Set

    N/A. As this is not an AI/diagnostic device, no adjudication method (e.g., 2+1, 3+1) was used for a test set in the context of clinical or diagnostic performance. The evaluation was based on adherence to ISO standards for mechanical and material properties.

    5. If a Multi-Reader Multi-Case (MRMC) Comparative Effectiveness Study Was Done

    No. An MRMC study is not applicable to this type of device. This is a physical dental abutment system, and its performance is evaluated through engineering and materials testing, not through reader perception or diagnostic accuracy.

    6. If a Standalone (i.e., algorithm only without human-in-the-loop performance) Was Done

    No. This is not an AI algorithm or a software-only device. The evaluation focuses on the physical properties and performance of the dental abutment system itself.

    7. The Type of Ground Truth Used

    The "ground truth" for the non-clinical tests (fatigue, biocompatibility, sterilization) is defined by the successful adherence to the specified international standards (ISO, ANSI/AAMI). For example, for fatigue, the "ground truth" is that the device withstands a certain number of load cycles at a specified force without failure, as per ISO 14801. For biocompatibility, it's the absence of adverse biological reactions as defined by ISO 10993 standards.

    8. The Sample Size for the Training Set

    N/A. This submission is for a physical medical device (dental abutment system) and does not involve AI or machine learning algorithms that require a "training set."

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

    N/A. Not applicable, as there is no training set for this type of device submission.

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    K Number
    K202479
    Date Cleared
    2020-09-23

    (26 days)

    Product Code
    Regulation Number
    872.3640
    Why did this record match?
    AI/MLSaMDIVD (In Vitro Diagnostic)TherapeuticDiagnosticis PCCP AuthorizedThirdpartyExpeditedreview
    Intended Use

    The IBS Implant System is intended to replace missing teeth to restore chewing function. The IBS Implant can be placed in support of single or multiple-unit restorations including; cement retained, or overdenture restorations, and terminal or immediate abutunent support for fixed bridgework. This system is for one or two stage surgical procedures and not for immediate loading. This system is intended for delayed loading.

    Device Description

    The IBS Implant System consists of dental implants, abutments, and screws for use in one or two-stage dental implant placement and restorations. The implant-abutment connection is tight and precise fitting with internal hex and Morse taper bevel. The surface of the system has been treated with RBM (Resorbable Blasted media). This submission is to add implants and abutments to the previously cleared device, IBS Implant System (K153350).

    AI/ML Overview

    The provided document is a 510(k) Premarket Notification from the U.S. FDA, which focuses on demonstrating substantial equivalence of a new device (IBS Implant System) to existing predicate devices. It does NOT describe a study that proves the device meets predefined acceptance criteria for AI/ML performance.

    Instead, the document primarily discusses:

    • The Indications for Use for the IBS Implant System (dental implants).
    • A detailed comparison of the subject device with predicate devices, highlighting similarities and differences in design, materials, dimensions, and manufacturing processes.
    • The non-clinical data leveraged from predicate devices (e.g., sterilization validation, biocompatibility, fatigue testing) to support the substantial equivalence claim for the new components being added.

    Therefore, I cannot fulfill your request as it pertains to acceptance criteria and performance studies for an AI/ML powered medical device. The provided document is for a traditional dental implant system and does not involve AI/ML.

    To answer your question meaningfully, I would need a document related to an AI/ML medical device submission.

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    K Number
    K201981
    Device Name
    Magicore System
    Date Cleared
    2020-08-27

    (42 days)

    Product Code
    Regulation Number
    872.3640
    Reference & Predicate Devices
    Why did this record match?
    Reference Devices :

    K140806, K162099, K192197, K181138, K171027

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

    The Magicore System is intended to replace missing teeth to restore chewing function. The Magicore can be placed in support of single or multiple-unit restorations including; cement retained, or overdenture restorations, and terminal or immediate abutment support for fixed bridgework. This system is for one or two stage surgical procedures. This system is intended for delayed loading.

    Device Description

    This submission is to add new implants and abutments to the previously cleared device, Magicore System (K152520). The newly added implants and abutments are below: Fixture - Magicore (4mm of Neck length Implants) . - . Magicore (Cutting Edge) Abutment - Magicore Solid Abutment - Healing Cap For Magicore Solid Abutment Cap, no other changes are being made to the previous clearance except for product name change. An endosseous dental implant is a device made of a material such as Ti-6AL-4V Eli (Conforming to ASTM Standard F-136). The Magicore System consists of dental implants, and screws for use in one or two-stage dental implant placement and restorations. The implant-abutment connection is tight and precise fitting with internal hex and Morse taper bevel. The surface of the system has been treated with RBM (Resorbable Blasted media).

    AI/ML Overview

    This document describes the Magicore System, an endosseous dental implant system, and its substantial equivalence to predicate devices, rather than a study proving the device meets specific acceptance criteria based on performance metrics. The information provided is for regulatory clearance (510(k)) and focuses on comparing the new components of the Magicore System to previously cleared devices.

    Therefore, many of the requested categories related to clinical study design, performance metrics, and ground truth establishment are not applicable.

    Here's an analysis of the provided text in relation to your request:

    1. A table of acceptance criteria and the reported device performance

    The document does not provide specific performance acceptance criteria (e.g., accuracy, sensitivity, specificity) for the Magicore System or clinical performance results. Instead, it relies on demonstrating "substantial equivalence" to predicate devices based on design, materials, indications for use, and non-clinical testing.

    The acceptance criteria for this 510(k) submission are based on meeting the requirements for substantial equivalence to legally marketed predicate devices. This means showing that the new components of the Magicore System are as safe and effective as the predicate devices and do not raise new questions of safety or effectiveness.

    The document states: "The results of the above tests have met the criteria of the standards and demonstrated the substantial equivalence with the predicate device." However, it does not specify what those "criteria" were in terms of quantifiable device performance. It refers to compliance with ISO and ASTM standards for non-clinical aspects.

    2. Sample size used for the test set and the data provenance (e.g. country of origin of the data, retrospective or prospective)

    Not applicable. This document is a 510(k) submission for new dental implant components, not a clinical study assessing performance with a test set of data. The testing mentioned is non-clinical (material properties, sterilization, biocompatibility, etc.).

    3. Number of experts used to establish the ground truth for the test set and the qualifications of those experts (e.g. radiologist with 10 years of experience)

    Not applicable. Ground truth establishment by experts for a test set is not relevant to this type of regulatory submission, which relies on engineering and biological testing against established standards and comparison to predicate devices.

    4. Adjudication method (e.g. 2+1, 3+1, none) for the test set

    Not applicable. No test set requiring expert adjudication for ground truth was used in this submission.

    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

    Not applicable. This is not a study assessing AI performance or human reader improvement.

    6. If a standalone (i.e. algorithm only without human-in-the-loop performance) was done

    Not applicable. This product is a physical dental implant system, not an algorithm.

    7. The type of ground truth used (expert consensus, pathology, outcomes data, etc)

    Not applicable. The concept of "ground truth" as it applies to diagnostic or treatment efficacy studies is not relevant here. The "truth" in this context is adherence to recognized standards and demonstrated equivalence to already approved devices through non-clinical testing.

    8. The sample size for the training set

    Not applicable. This product is a physical dental implant system, not a machine learning model requiring a training set.

    9. How the ground truth for the training set was established

    Not applicable. No training set was used.

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    K Number
    K200753
    Date Cleared
    2020-06-09

    (78 days)

    Product Code
    Regulation Number
    872.3630
    Reference & Predicate Devices
    Why did this record match?
    Reference Devices :

    K140806

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

    The IBS Implant System II is intended to replace missing teeth to restore chewing function. The IBS Implant System II can be placed in support of single or multiple-unit restorations including; cement retained, or overdenture restorations, and terminal or immediate abutment support for fixed bridgework. This system is for one or two stage surgical procedures. This system is intended for delayed loading.

    Device Description

    This submission is to add new magic Motion Abutment to the previously cleared device, IBS Implant System II (K162099).

    The Magic Motion Abutment system is composed of Magic Motion Abutment, Housing and O-ring. The Magic Motion Abutment is a device made of a material such as Ti-6AL-4V Eli (Conforming to ASTM Standard F-136). Magic Motion is an attachment-retained prosthetic product, which is used with patients with a fully edentulous maxilla. It is a one-piece structure. Various collar heights of the magic motions can be selected based on the gingival height. Magic motion does not have movement and it is a solid type.

    AI/ML Overview

    This FDA 510(k) K200753 letter is for a dental device, specifically an endosseous dental implant abutment called "IBS Implant System II" with an added component called "Magic Motion Abutment". As such, the approval is based on substantial equivalence to a predicate device, not on clinical performance criteria like those typically found in AI/ML device clearances. The document focuses on mechanical and material properties rather than AI model performance metrics.

    Therefore, many of the requested elements for an AI/ML device study are not applicable or cannot be extracted from this documentation.

    Here's an attempt to answer the questions based on the provided text, while highlighting what is not applicable:


    1. Table of Acceptance Criteria and Reported Device Performance

    Not directly applicable as this is a dental implant abutment, not an AI/ML device. The "acceptance criteria" here relate to meeting standards for mechanical properties, biocompatibility, and manufacturing, rather than statistical performance metrics like sensitivity/specificity for an AI model.

    The document discusses demonstration of substantial equivalence with the predicate device through design control activities and specific tests.

    Acceptance Criteria TypeReported Device PerformanceComments (Not AI/ML specific)
    Design/Dimensional ComparisonSubject device's diameter and hex are larger; neck and head diameter are larger and more round compared to the predicate. Magic Motion Housing height and diameter are larger.Stated that these differences "don't impact product's substantial equivalence" as they improve connection. This implies the design changes still fall within acceptable parameters for function and safety compared to the predicate.
    End User Steam Sterilization (AAMI TIR12:2010)Tests performed on predicate device and leveraged for subject device; "met the criteria of the standards".Confirms the device can be effectively sterilized by the end-user.
    Biocompatibility (ISO 10993-1, -10, -11)Tests performed on predicate device and leveraged for subject device; "met the criteria of the standards".Confirms the device material is safe for contact with biological tissues.
    Material Composition (Ti-6AL-4V Eli, ASTM F-136, Silicon rubber)Confirmed materials used.Demonstrates adherence to recognized material standards for medical implants.

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

    Not applicable for an AI/ML device. This is a mechanical device.

    • Test set sample size: Not specified in terms of clinical samples. Testing refers to mechanical and material property assessments on manufactured parts.
    • Data Provenance: Not mentioned in the context of clinical data. The tests performed are laboratory-based.

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

    Not applicable as this is not an AI/ML device relying on human-established ground truth. Testing involves engineering standards and laboratory analyses.


    4. Adjudication Method for the Test Set

    Not applicable. This refers to methods for resolving discrepancies in expert labeling for AI/ML ground truth, which is not relevant here.


    5. If a Multi-Reader Multi-Case (MRMC) Comparative Effectiveness Study Was Done

    No, a MRMC study was not done. This type of study is specifically for evaluating the effectiveness of an AI system with human readers, which is not relevant for a dental implant abutment.


    6. If a Standalone (i.e., algorithm only without human-in-the-loop performance) Was Done

    Not applicable. There is no "algorithm" or "standalone performance" for this mechanical dental device.


    7. The Type of Ground Truth Used

    Not applicable in the context of AI/ML. For this device, "ground truth" would correspond to established engineering standards, material specifications, and regulatory requirements that the device's characteristics (dimensions, material, sterility, biocompatibility) must meet.


    8. The Sample Size for the Training Set

    Not applicable for an AI/ML device. There is no "training set" for a mechanical dental implant.


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

    Not applicable for an AI/ML device. There is no "training set ground truth" for this mechanical device. The design, materials, and manufacturing processes adhere to established engineering principles and regulatory guidelines for dental implants.

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    K Number
    K173120
    Date Cleared
    2018-03-16

    (168 days)

    Product Code
    Regulation Number
    872.3630
    Reference & Predicate Devices
    Why did this record match?
    Reference Devices :

    K140806, K162099, K161244

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

    The CCM Abutment System is intended to replace missing teeth to restore chewing function. The CCM Abutment System can be placed in support of single or multiple-unit restorations including, cement retained, and terminal or immediate abutment support for fixed bridgework. This system is for one or two stage surgical procedures. This system is intended for delayed loading.

    Device Description

    CCM Abutment System is used with a dental implant to provide support to prosthetic restorations such as crown, bridge and overdentures in partially or fully edentulous patients. CCM Abutment System consists of UCLA Abutment and titanium abutment screws. All subject abutments are intended to be cast at zero angulations and placed on dental implant bodies which do not require angle correction.

    AI/ML Overview

    This document is a 510(k) Premarket Notification from the FDA, asserting "substantial equivalence" of the CCM Abutment System to previously marketed devices. These types of documents focus on comparing a new device to existing ones to demonstrate similar safety and effectiveness, rather than presenting a detailed study proving the new device meets specific, pre-defined quantitative acceptance criteria through clinical trials or standalone performance evaluations (especially relevant for AI/ML devices). This document describes a dental implant abutment system, which is a physical device, not an AI/ML-driven medical device. Therefore, the information typically requested for AI/ML device performance, such as sample sizes for test sets, data provenance, expert ground truth establishment, MRMC studies, or standalone algorithm performance, is not applicable to this document.

    The document primarily relies on non-clinical data to demonstrate substantial equivalence, focusing on materials, design, indications for use, and manufacturing processes compared to predicate devices.

    Here's the information that can be extracted relevant to acceptance and performance for this physical device, framed in the context of "substantial equivalence" rather than "meeting acceptance criteria" in the way an AI/ML device would:


    Acceptance Criteria and Device Performance (for a physical dental abutment system)

    The "acceptance criteria" here are implicitly tied to demonstrating substantial equivalence to legally marketed predicate devices. The performance is assessed through non-clinical testing and comparison of attributes.

    Since this is a 510(k) for a physical dental abutment, the "acceptance criteria" are not quantitative performance metrics in the same way they would be for an AI/ML device. Instead, they are about demonstrating that the device is as safe and effective as predicate devices.

    Table of "Acceptance Criteria" (Implicit for 510(k)) and Reported Device Performance:

    Feature/TestImplicit "Acceptance Criteria" (Demonstrate equivalence to predicate)Reported Device Performance / Justification
    Intended UseSame as predicate devicesThe CCM Abutment System is intended to restore chewing function by replacing missing teeth, supporting single or multiple-unit restorations (cement-retained, screw-retained, fixed bridgework), and is for one/two-stage surgical procedures with delayed loading. This is stated to be the same as the primary predicate (K153350) and aligns with the general use of the reference predicates (K140806, K162099, K161244).
    Technological Characteristics (Design, Dimension, Principle of Operation, Restoration Angulations)Similar to predicate devices, with differences not raising new safety/effectiveness questions.Similarities: Identical machining, manufacturing process, angulation (No Angle), and principle of operation (screw-retained/cement-retained depending on part). Differences: Slight differences in specific dimensions (diameters and lengths) of various abutment parts (UCLA Abutment, Burn out core cylinders/caps, Multi-unit CCM Cylinder) compared to predicates are noted but are considered not to raise new questions of safety or effectiveness. The device maintains "No Angle" for restoration angulations, consistent with predicates.
    Material CompositionEquivalent to predicate devices, or justified if different.Difference: Subject device uses Co-Cr-Mo Alloy and Poly Diacetate. The primary predicate (K153350) uses Titanium Alloy and Poly Diacetate. Justification: Reference predicate (K161244) uses Co-Cr-Mo Alloy, and biocompatibility testing was performed on the subject device to support the material difference. Galvanic reaction testing was also performed between CoCr alloy and Ti Gr.5.
    BiocompatibilityMeets established standards (ISO 10993).Biocompatibility tests performed according to ISO 10993-1, -3, -5, -10, -11. Results "met the criteria of the standards" and "demonstrates that the subject device is biocompatible and substantial equivalence with the predicate device, K161244."
    SterilizationMeets established standards (ISO 17665, ANSI/AAMI ST79).End User Steam Sterilization Test referenced from predicate K140806. Justified because "product category, material, manufacturing process, facility, and packaging is the exactly the same as the predicate."
    Galvanic ReactionAcceptable corrosion potential between alloys.Testing performed for CoCr alloy and Ti Gr.5 as per "Class II Special Controls Guidance Document: Root-form Endosseous Dental Implant and Endosseous Dental Implant abutments." Assessed corrosion potential and couple potential. "Results...met the criteria of the standards."
    Performance Validation (General Statement)Supposed to performance and product validations prior to release."The subject device has been supposed to performance and product validations prior to release." (General statement, specific test data or detailed results not provided in this summary.)

    Study Details (as applicable to a physical device 510(k) submission):

    1. Sample size used for the test set and the data provenance:

      • Not applicable in the context of an AI/ML device. This document does not refer to a "test set" of patient data for algorithm evaluation.
      • For the non-clinical tests (biocompatibility, galvanic reaction), the "sample size" would refer to the number of physical device units tested according to the respective ISO/ASTM standards. These details are not provided in this summary but would be part of the full submission. The provenance is internal lab testing for a new device.
    2. Number of experts used to establish the ground truth for the test set and the qualifications of those experts:

      • Not applicable. "Ground truth" in this context is implicitly established by the standards themselves (e.g., ISO 10993 specifications for biocompatibility) and engineering principles for mechanical functionality. Human expert consensus on a test set of images or data is not a component of this submission.
    3. Adjudication method (e.g. 2+1, 3+1, none) for the test set:

      • Not applicable. This refers to a process for resolving discrepancies in expert labeling or diagnoses, which is not relevant for this physical device testing.
    4. 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:

      • Not applicable. This is a study design for evaluating diagnostic AI, not a physical dental device.
    5. If a standalone (i.e. algorithm only without human-in-the-loop performance) was done:

      • Not applicable. This pertains to AI/ML software.
    6. The type of ground truth used (expert consensus, pathology, outcomes data, etc.):

      • For the non-clinical tests, the "ground truth" is defined by the specific criteria and methodologies outlined in the referenced international standards (e.g., ISO 10993 for biocompatibility, ISO 17665 for sterilization). For galvanic reaction, it's based on "corrosion potential" and "couple potential" as assessed per FDA guidance for dental implants.
    7. The sample size for the training set:

      • Not applicable. This is for AI/ML model development.
    8. How the ground truth for the training set was established:

      • Not applicable. This is for AI/ML model development.

    In summary, this document is a regulatory communication for a Class II physical medical device, not an AI/ML-driven diagnostic tool. As such, the requested details related to AI/ML study design and performance criteria are not present because they are not relevant to the type of device and submission being reviewed. The "study" proving the device meets "acceptance criteria" is the set of non-clinical bench tests and comparisons performed against established predicate devices and international standards, demonstrating "substantial equivalence."

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    K Number
    K162099
    Date Cleared
    2017-02-15

    (201 days)

    Product Code
    Regulation Number
    872.3640
    Reference & Predicate Devices
    Why did this record match?
    Reference Devices :

    K140440, K142813, K140806

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

    The IBS Implant System II is intended to replace missing teeth to restore chewing function. The IBS Implant System II can be placed in support of single or multiple-unit restorations including; cement retained, or overdenture restorations, and terminal or immediate abutment support for fixed bridgework. This system is for one or two stage surgical procedures. This system is intended for delayed loading.

    Device Description

    An endosseous dental implant is a device made of a material such as Ti 6AL 4V Eli (Conforming to ASTM Standard F-136). The IBS Implant System II is consists of dental fixtures, screws and multiunit abutment cylinders.

    AI/ML Overview

    The provided document is a 510(k) summary for the IBS Implant System II, a dental implant device. It primarily focuses on demonstrating substantial equivalence to predicate devices based on design, materials, indications for use, and non-clinical testing. It does not describe an acceptance criteria study with the requested details (number of experts, sample size for test/training set, ground truth methods, MRMC study, or standalone performance).

    Instead, the document details a comparison of the new device to existing devices (predicates) regarding various technical specifications and non-clinical test results.

    Since the document does not contain the information for acceptance criteria and a study proving device meets it as requested, I cannot complete the table or answer the specific questions.

    No information for the requested table and study details is available in the provided text. The document focuses on demonstrating substantial equivalence through comparison with predicate devices and non-clinical tests (biocompatibility, endotoxin, sterilization validation, shelf-life validation, fatigue). These are not presented as a study with specific acceptance criteria that the device performed against in the way an AI/software performance study would be evaluated.

    Therefore, the requested table of acceptance criteria and reported device performance cannot be generated. Similarly, specific details about sample size (training/test), data provenance, expert involvement, adjudication, MRMC, or standalone performance are not provided as these types of studies are typically associated with performance claims for diagnostic or prognostic devices, not for substantial equivalence of an endosseous dental implant based on physical and material properties.

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    K Number
    K152520
    Device Name
    Magicore System
    Date Cleared
    2016-01-25

    (144 days)

    Product Code
    Regulation Number
    872.3640
    Reference & Predicate Devices
    Why did this record match?
    Reference Devices :

    K140806

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

    The Magicore System is intended to replace missing teeth to restore chewing function. The Magicore can be placed in support of single or multiple-unit restorations including; cement retained, or overdenture restorations, and terminal or immediate abutment support for fixed bridgework. This system is for one or two stage surgical procedures. This system is intended for delayed loading.

    Device Description

    An endosseous dental implant is a device made of a material such as Ti 6AL 4V Eli(Conforming to ASTM Standard F-136). The Magicore System is consists of dental implants, abutments, and screws for use in one or two-stage dental implant placement and restorations. The implant-abutment connection is tight and precise fitting with internal hex and Morse taper bevel. The surface of the system has been treated with RBM (Resorbable Blasted media). The Fixture diameters are 4, 4.5, 5, 5, 6, 6.5mm and lengths are 7, 9, 11, 13mm in this system. The contained various abutments and accessories in the system are abutment screw, magicore abutment &cap, healing cap (color anodizing: yellow, blue, green, and purple). The abutments are provided straight only and that they are no intended to be modified to provide an angle correction. Fixtures and abutments are packaged separately. The Fixtures are supplied sterile and the abutments and accessories are provided non-sterile. The abutments and accessories should be sterilized before use.

    AI/ML Overview

    The provided document is a 510(k) premarket notification for a dental implant system (Magicore System). This type of submission relies on demonstrating substantial equivalence to a legally marketed predicate device, rather than providing extensive clinical study data for acceptance criteria and device performance as would be required for novel or higher-risk devices.

    Therefore, the document does not contain the detailed information requested about acceptance criteria, a specific study proving the device meets those criteria, sample sizes for test/training sets, expert ground truth establishment, adjudication methods, or MRMC studies.

    Instead, the submission focuses on comparing the Magicore System to predicate devices to demonstrate substantial equivalence based on:

    1. Indications for Use: The Magicore System is intended to replace missing teeth to restore chewing function, similar to the predicate devices.
    2. Materials: All devices are made of Titanium Alloy Ti-6Al-4V Eli (ASTM F136).
    3. General Shape Design, Surface, Connection Method, Application Method, and Sterilization Method: These are stated to be similar between the subject device and the predicate devices.
    4. Non-clinical Data: This includes sterilization validation (ISO 11137-1:2006, ISO 11137-2:2006), surface treatment analysis, biocompatibility evaluation (relying on predicate materials or FDA consensus standards), and shelf-life validation (ASTM 1980).

    The document states: "Any differences between the Mazicore System and predicate device do not raise new types of safety or effectiveness issues. Accordingly we can claim the substantially equivalence of the Magicore System to predicate device."

    In summary, none of the requested information regarding acceptance criteria for device performance (e.g., accuracy, sensitivity, specificity for an AI/algorithm-based device), sample sizes for clinical test sets, expert ground truth, adjudication, or MRMC studies are present in this 510(k) submission. This is standard for 510(k) applications for dental implants, which typically rely on non-clinical data and comparison to predicates for demonstration of substantial equivalence.

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