Search Results
Found 126 results
510(k) Data Aggregation
(90 days)
33704
Re: K251905
Trade/Device Name: Normatec Elite Hip
Regulation Number: 21 CFR 890.5650
Inflatable Tube
Classification Name: Powered inflatable tube massager
Regulation Number: 21 CFR 890.5650
massager
Common/Usual Name: Powered inflatable tube massager
Regulation Number: 21 CFR 890.5650
massager
Common/Usual Name: Powered inflatable tube massager
Regulation Number: 21 CFR 890.5650
The Normatec Elite Hip is an air pressure massager intended to temporarily relieve minor muscle aches and/or pains, and to temporarily increase circulation to the treated areas.
The Normatec Elite Hip is a powered inflatable tube massager (Product Code "IRP"). It is intended to temporarily relieve minor muscle aches and/or pains, and to temporarily increase circulation to the treated areas. It simulates manual kneading and stroking of tissues by the use of an inflatable pressure cuff. The devices are to be used by people who are in good health. The devices are charged and powered from an external compliant power supply. In addition, powered by an internal IEC 62133-2 compliant lithium-ion battery.
The user interface on the Normatec Elite Hip is a series of buttons with a small display screen to display the treatment time, pressure level, zone boost number. The user interface provides for:
- Starting and stopping the massage treatment;
 - Adjusting time and intensity (pressure) of the treatment;
 - Selection of the zone to boost the pressure
 
In addition to the user interface on the devices, the proposed devices have Bluetooth capability that allows the use of a NormaTec app to control the device. The Bluetooth app allows the user to use a compatible Android or iOS phone to select and set device parameters listed above for convenience.
N/A
Ask a specific question about this device
(112 days)
Name:** Air Compression Therapy Device (K1002/K1006/K1007/K1008/K1061)
Regulation Number: 21 CFR 890.5650
The Air compression therapy device(K1002K1102/K1006/K1007/K1008/K1061 ) is an air pressure massager intended to temporarily relieve minor muscle aches and/or pains, and to temporarily increase circulation to the treated areas.
Not Found
N/A
Ask a specific question about this device
(179 days)
K250244**
Trade/Device Name: Compression Therapy Device (LGT-2210DS)
Regulation Number: 21 CFR 890.5650
effectiveness information is being submitted in accordance with the requirements according to 21CFR 890.5650
2210DS
Review Panel: Physical Medicine
Product Code: IRP
Regulation Number: 21 CFR 890.5650
Information
Trade name: Compressible Limb Therapy System MK300L
Regulation number: 21CFR 890.5650
or OTC | Rx | Rx | Identical |
| Product code | IRP | IRP | Identical |
| Regulation number | 21CFR 890.5650
Compression Therapy Device (Model: LGT‐2210DS) is intended for Prophylaxis and treatment of edema (Chronic venous edema, Lymphedema, Post‐mastectomy lymphedema).
Compression Therapy Device (Model: LGT‐2210DS) is intended exclusively for use by medical specialists and is only allowed to be used by qualified and instructed medical persons in clinical and hospital. The compression Therapy Device (Model: LGT‐2210DS) is designed to be used in patients over 22 years old.
The LGT‐2210DS is a compression therapy device comprised of an intermittent pneumatic controller, sleeves with 6‐chamber, 4‐chamber combined and connectable hoses. The working principle is the air inflating and deflating the sleeve sequentially to develop the circulating pressure on the human body, squeezing the proximal and distal of the limbs to promote blood circulation lymphatic system and improve body microcirculation.
The provided FDA 510(k) clearance letter is for a Compression Therapy Device (LGT-2210DS). This device is a physical therapy device and not an AI/ML medical device. Therefore, the document does not contain the information required to answer questions related to AI/ML device testing, such as acceptance criteria, performance metrics (sensitivity, specificity, AUROC), sample sizes for AI model testing, expert involvement in ground truth establishment, MRMC studies, or training set details.
The document primarily focuses on establishing substantial equivalence to a predicate device (Compressible Limb Therapy System MK300L) based on:
- Intended Use: Prophylaxis and treatment of edema (Chronic venous edema, Lymphedema, Post-mastectomy lymphedema).
 - Technological Characteristics: Intermittent pneumatic compression, compressor and valve system, sequential inflation.
 - Safety and Performance Bench Testing: Service life, reliability, electrical safety (IEC 60601-1), EMC (IEC 60601-1-2), usability (IEC 60601-1-6), software V&V (specifically cybersecurity as the main software aspect noted), and biocompatibility (ISO 10993 series).
 
No AI/ML components are mentioned or implied in this 510(k) submission. The "Software Verification and Validation Testing" section explicitly states: "There is no wireless connection, Bluetooth, internet connection in the device, and Power socket is only for battery charging connection. The client information can be exported by entered Password with USB flash drive. Testing related to Cybersecurity was performed." This confirms the software involved is minimal and not AI-driven.
Therefore, I cannot provide a response to the prompt's specific requirements, as the provided document does not contain information about an AI/ML medical device.
Ask a specific question about this device
(323 days)
Compression Cuffs; L-1001S, L-1001L, L-1001XL, L-1001XXL, L-1001XXXL)
Regulation Number: 21 CFR 890.5650
Powered Inflatable Tube
Regulation Medical Specialty: Physical Medicine
Regulation Number: 890.5650
The device is intended to temporarily relieve minor muscle aches and/or pains, and to temporarily increase circulation to the treated areas in people who are in good health.
Air Pressure Therapy System is a powered inflatable tube massager. The device simulates manual kneading and stroking of tissues by sequential inflated cuffs, to temporarily relieve minor muscle aches and/or pains and to temporarily increase circulation to the treated areas. It consists of a main unit, a 4-chamber leg cuff, and an air hose for connecting the unit to the cuff. Only one leg is treated during the treatment process. The cuff inflates and deflates sequentially to apply the pressure on the leg which is controlled by the main unit. Each cuff is equipped with a dedicated air hose. It is to be used by adults.
The FDA 510(k) clearance letter for the Intermittent Pressure Compression System (K242615) does not contain information about a study that proves the device meets specific acceptance criteria in the context of clinical performance (e.g., how effectively it relieves muscle aches or increases circulation). Instead, the clearance is based on demonstrating substantial equivalence to a predicate device (K243320) by meeting recognized safety and performance standards relevant to medical devices of its type.
Here's a breakdown of the requested information based on the provided document:
1. Table of Acceptance Criteria and Reported Device Performance
The document does not explicitly state "acceptance criteria" for clinical performance. Instead, it compares the subject device's technical characteristics to those of the predicate device and highlights regulatory compliance. The acceptance criteria for clearance are primarily based on demonstrating that the subject device is as safe and effective as the predicate device by meeting recognized safety standards and showing that differences in technical characteristics do not raise new safety or efficacy concerns.
| Feature | Acceptance Criteria (Implied from Predicate or Standards) | Reported Device Performance | Substantial Equivalence Discussion | 
|---|---|---|---|
| Indications for Use | "To temporarily relieve minor muscle aches and/or pains, and to temporarily increase circulation to the treated areas in people who are in good health." (Matching Predicate) | "To temporarily relieve minor muscle aches and/or pains, and to temporarily increase circulation to the treated areas in people who are in good health." | Same | 
| Classification | Class II Device, IRP (21 CFR 890.5650) | Class II Device, IRP (21 CFR 890.5650) | Same | 
| Mode of Compression | Sequential (Matching Predicate) | Sequential | Same | 
| Max/Min Pressure | Within acceptable therapeutic range, safe operation. Predicate: 30-240 mmHg (Tolerance: ±20mmHg) | 20-200 mmHg (Tolerance: ±20mmHg) | Different - "[L]ower than the predicate device, so there is no safety issue concerned and as for the efficacy, it remains valid since its performance has been demonstrated by the performance testing data included in this submission." | 
| Number of Chambers | Sufficient for intended compression (Predicate: 6 chambers) | 4 Chambers | Different - "The 'applicable treatment site' and 'usage instructions' of the subject device fall within the same range as the predicate device, these differences do not impact safety and effectiveness." | 
| Therapy Time | Suitable for intended use (Predicate: 5-99 mins) | 0-30 min, selection (10, 20, 30min) | Different - "Shorter treatment time enhances the safety of use." | 
| Power Source | Safe and effective (Predicate: Rechargeable Li-ion battery, AC input) | 100-240Vac 50/60Hz (main unit) | Different - "The voltage and current of the power supply are the same. The difference in battery specifications will not affect safety." | 
| Safety Feature | Power button allows stop therapy session at any time. | Power button on main unit allows stop therapy session at any time. | Same | 
| Standards Compliance | IEC 60601-1, IEC 60601-1-2, IEC 60601-1-11 compliance. | Tested and met the requirements of: IEC 60601-1, IEC 60601-1-2, IEC 60601-1-11. | Met required safety and essential performance standards. | 
2. Sample Size Used for the Test Set and Data Provenance
The document states, "testing was performed and results demonstrated that the Intermittent Pressure Compression System is as safe and effective as the predicate device." However, it does not specify any clinical test set sample size, data provenance, or details of a clinical study to prove efficacy in humans. The testing mentioned refers to compliance with electrical safety and electromagnetic compatibility standards (IEC 60601 series), not clinical trials.
3. Number of Experts Used to Establish the Ground Truth and Qualifications
Not applicable. The clearance is based on substantial equivalence to a predicate device and compliance with device safety standards, not on a clinical ground truth established by experts for performance assessment in humans.
4. Adjudication Method for the Test Set
Not applicable. There is no mention of a clinical test set or an adjudication method for human performance evaluation.
5. Multi-Reader Multi-Case (MRMC) Comparative Effectiveness Study
Not applicable. This type of study is more common for diagnostic imaging devices involving human interpretation. The provided document concerns an intermittent pressure compression system, which is a therapeutic device, and does not mention any MRMC study.
6. Standalone (Algorithm Only Without Human-in-the-Loop Performance) Study
Not applicable. This device is a physical medical device, not an AI algorithm. Its performance is inherent in its mechanical and electrical operation, not an algorithm's output.
7. The Type of Ground Truth Used
The "ground truth" for the device's acceptable performance is primarily established by:
- Substantial Equivalence: Comparison to a legally marketed predicate device (K243320) with known safety and efficacy.
 - Compliance with Recognized Standards: Meeting international safety and performance standards (IEC 60601-1, IEC 60601-1-2, IEC 60601-1-11). These standards serve as the "ground truth" for basic safety and essential performance.
 
There is no mention of clinical outcomes data, pathology, or expert consensus specific to the subject device's clinical efficacy in the provided document.
8. The Sample Size for the Training Set
Not applicable. This is not an AI/ML device that requires a training set.
9. How the Ground Truth for the Training Set Was Established
Not applicable. As above, this is not an AI/ML device.
Ask a specific question about this device
(235 days)
Name:** ZT Clinic (MG675A); ZT Cube (ZC3) (MG465A); Z-ONE (MG455A)
Regulation Number: 21 CFR 890.5650
tube massager
Classification name: Massager, Powered Inflatable Tube
Regulation Number: 890.5650
The Heat Exchange Equipment for Cryotherapy and Thermotherapy provides a combination of cold, heat, contrast, and compression therapies.
It is intended to treat post-surgical and trauma injuries to reduce edema, swelling and pain, for which cold and compression are indicated.
It is intended to treat post traumatic and post-surgical medical and/or surgical conditions, for which localized thermal therapy (hot or cold or contrast) are indicated.
The equipment is intended to be used by, or on the order of, licensed health care professionals in rehabilitation facilities, outpatient clinics, and athletic training settings.
The Heat Exchange Equipment for Cryotherapy and Thermotherapy (Z-ONE, ZT Cube and ZT Clinic) are AC-powered, software-controlled multi-modality devices, designed to impart localized heat exchange and compression therapies. The devices have been developed with the possibility of choosing between different programs: cold therapy, heat therapy and contrast therapy (alternating hot and cold). Moreover, they also possess an intermittent pneumatic compression activity, which is the effect of an alternance of compression and decompression. The compression activity is available in four different levels: minimum (15 mmHg), low-medium (40 mmHg), medium (60 mmHg) and maximum (80 mmHg). It is also possible for the professional user to select the duration of the pulsed compression. With heat treatment, only a low compression level, i.e. 15 mmHg can be selected.
The device allows for a maximum treatment time of 30 minutes for heat therapy, 90 minutes for cold therapy, and 90 minutes for contrast therapy.
The devices are designed to be compatible with a series of Thermal Wraps, that are available for different parts of the body: full leg, shoulder, thigh, knee, calf, elbow, wrist, ankle and hip.
The devices are designed to be used in rehabilitation facilities, outpatient clinics, and athletic training settings, by, or on the order of, licensed health care professionals.
The Heat Exchange Equipment for Cryotherapy and Thermotherapy is available in 3 different models:
- 
Z-ONE: portable unit with a comfortable handle for moving. This model is developed to deliver only cold therapy, with a temperature range between 41°F and 59°F (5°C - 15°C) and it allows the connection of up to two wraps at the same time and therefore the possibility to treat more patients using the same program simultaneously.
 - 
ZT Cube: portable unit with a comfortable handle for moving. This model allows the delivery of cold therapy, heat therapy and contrast therapy (alternating hot and cold), with a temperature range of 34°F as minimum and 104°F as maximum (1°C - 40°C). Up to two wraps can be connected at the same time.
 - 
ZT Clinic: unit designed and built for the complex needs of clinics and hospitals, as it can suit up to 4 thermal wraps simultaneously. This model can be used to deliver cold therapy, heat therapy and contrast therapy, alternating hot and cold. Temperature range is 34°F as minimum and 113°F as maximum (1°C - 45°C).
 
The devices are controlled by an intuitive touch screen computer interface, allowing the user to manage the therapy modalities as well as easily adjust and monitor treatment times, temperature and compression settings.
The provided text is an FDA 510(k) clearance letter for a medical device. It details the device's characteristics, intended use, and a comparison to a predicate device to demonstrate substantial equivalence. However, it does not contain information about a study proving the device meets acceptance criteria related to a diagnostic algorithm's performance.
The document describes "performance bench tests" for the heat exchange equipment (temperature and pressure accuracy, wrap seam strength, leakage) and "skin temperature tests on healthy volunteers" and "durability tests of thermal wraps." These are engineering and safety performance tests for the physical device, not a study evaluating a diagnostic algorithm's accuracy against clinical ground truth.
Therefore, many of the requested fields related to a diagnostic study (like sample size for test set, data provenance, number of experts for ground truth, MRMC study, standalone performance, ground truth type, training set details) cannot be extracted from this document.
Below is a table summarizing the relevant information that can be extracted, along with an explanation for the missing information.
Acceptance Criteria and Device Performance Study for ZAMAR Medical Heat Exchange Equipment
As per the provided FDA 510(k) Clearance Letter (K242754), the device in question is a ZAMAR Medical heat exchange equipment for cryotherapy and thermotherapy, not an AI/diagnostic algorithm. Therefore, the acceptance criteria and study detailed in the document are related to the physical and functional performance of this therapeutic device, not the diagnostic performance of a software or AI.
The document does not describe a study that involves clinical outcomes or a diagnostic algorithm's performance. Instead, it describes engineering and safety verification tests.
1. Table of Acceptance Criteria and Reported Device Performance
| Acceptance Criteria Category | Specific Test/Criteria | Reported Device Performance / Conclusion | 
|---|---|---|
| Leakage Test | Leakage from the tank | Devices conform to predetermined specifications and operate within safety limits. | 
| Temperature Control | Capacity of thermal wraps to reach desired and set temperature | Devices conform to predetermined specifications and operate within safety limits. | 
| Functional Properties Maintenance | Temperature accuracy | Devices conform to predetermined specifications and operate within safety limits. | 
| Pressure accuracy | Devices conform to predetermined specifications and operate within safety limits. | |
| Wrap seam strength | Devices conform to predetermined specifications and operate within safety limits. | |
| Patient Safety (Thermal) | Skin temperatures in worst-case use scenario | Tested on healthy volunteers; results support safety. | 
| Accessory Durability | Thermal wrap durability under simulated real-use conditions | Device's ability to maintain integrity and performance over 200 repeated application cycles demonstrated. | 
2. Sample Size and Data Provenance for Test Set
- Sample Size:
- For "skin temperature tests": "healthy volunteers who provided informed consents" (specific number not provided).
 - For "durability of the thermal wraps": Tested over "200 repeated application cycles."
 - For other performance tests (temperature accuracy, pressure accuracy, wrap seam strength): Not specified, typically done on a representative sample of devices/components during manufacturing/design verification.
 
 - Data Provenance: Not explicitly stated (e.g., country of origin, retrospective/prospective). The tests described are engineering/bench tests and volunteer-based safety tests, not large-scale clinical data collection.
 
3. Number of Experts and Qualifications for Ground Truth
- Not Applicable: This document describes tests for a therapeutic device's physical performance and safety, not a diagnostic algorithm requiring expert-established ground truth for image interpretation or diagnosis.
 
4. Adjudication Method for the Test Set
- Not Applicable: As no diagnostic algorithm's performance is being evaluated against a ground truth, there is no need for an adjudication method for a test set in this context.
 
5. Multi-Reader Multi-Case (MRMC) Comparative Effectiveness Study
- No: This type of study is relevant for evaluating the impact of AI assistance on human reader performance in diagnostic tasks. Since the device is a therapeutic heat exchange unit, an MRMC study was not performed or described.
 
6. Standalone Performance Study (Algorithm Only)
- No: The device is not a standalone diagnostic algorithm. The performance evaluation presented is for the physical medical device itself.
 
7. Type of Ground Truth Used
- Engineering/Performance Specifications and Safety Limits: For temperature, pressure, durability, and leakage, the "ground truth" is adherence to pre-defined engineering specifications and safety thresholds.
 - Physiological Response (Safety): For skin temperature tests, "ground truth" would be the observed skin temperatures remaining within safe physiological limits.
 - Not Clinical Ground Truth for Diagnosis: No clinical diagnosis or pathology reports were used as ground truth, as this is not a diagnostic device.
 
8. Sample Size for the Training Set
- Not Applicable: This device is a physical therapeutic unit, not an AI/machine learning algorithm that requires a training set.
 
9. How the Ground Truth for the Training Set Was Established
- Not Applicable: As there is no training set for an AI algorithm, no ground truth needed to be established for it.
 
Ask a specific question about this device
(105 days)
Leg Massager (UM605, UM606, UM607, UM608,UM609,UM610, UM611, UM617)
Regulation Number: 21 CFR 890.5650
Physical MedicineClassification name: Massager, Powered Inflatable TubeRegulation Number: 890.5650
The Air Compression Leg Massager is used to temporarily relieve mild muscle pains and discomfort, and temporarily increase blood circulation to the treatment areas in people who are in good health. Air Compression Leg Massager simulates kneading and stroking of tissues by using an inflatable garment.
Air Compression Leg Massager is a portable and rechargeable device. It is intended to be an over-the-counter portable inflatable tube massage system which simulates kneading and stroking of tissue with the hands by use of inflatable pressure cuffs. It can be used to temporarily increase blood circulation and temporarily relieve minor muscle aches and pains. The models include UM605, UM606, UM607, UM608,UM609,UM610, UM611, UM617. All of them have same Indications for use, technological characteristics and similar device appearance. And they have the same electrical circuit design, PCB layout, critical components and internal wiring. The differences for them are software function, operation method for mode adjustment and the shape of compatible inflatable garment. Air Compression Leg Massager supplied clean and non-sterile, utilizes the pneumatically controlled leg wraps actuated by an electronically controlled air pump unit. A pump, battery and control components are protectively housed in a plastic case of the main body. The main body and the inflatable garment are not detachable. Function buttons and light emitting diode (LED) indicators on the main body make up the user interface. Each inflatable garment is connected to the main body by air hoses and encase a 2-chamber air bladder inside. Calves can be wrapped and massaged separately by the two chambers. The main unit is directly installed on the inflatable garment through tubes and fixing buckles, and there is no need for users to install it again. The soft medical fabric of wraps provides patient comfort and biocompatibility compliance. In operation, the user turns the power on via the Power button. Then the main body controls the inflating and deflating of the air bladders according to preset program.
The provided FDA clearance letter for the Air Compression Leg Massager (UM605, UM606, UM607, UM608, UM609, UM610, UM611, UM617) does not contain information about a study proving the device meets specific acceptance criteria in the context of an AI/ML-driven medical device.
Instead, this document is a 510(k) summary for a physical, non-AI medical device (Air Compression Leg Massager). The "acceptance criteria" and "study that proves the device meets the acceptance criteria" in this context refer to the Substantial Equivalence (SE) determination based on comparison to a predicate device and compliance with recognized performance and safety standards, rather than an AI model's performance metrics like accuracy, sensitivity, or specificity.
Therefore, I cannot extract the information required for your specific prompt which is tailored for AI/ML device studies. The information you are seeking (e.g., sample size for test/training sets, data provenance, expert ground truth, MRMC studies, standalone performance, etc.) is not applicable or present in this type of FDA clearance for a non-AI physical device.
Here's how the provided information relates to a non-AI device clearance:
- 
Acceptance Criteria & Reported Performance: The "acceptance criteria" for this device are primarily satisfying the safety and performance requirements of the relevant IEC standards (IEC 60601-1, IEC 60601-1-2, IEC 60601-1-11, IEC 62133-2) and biocompatibility standards (ISO 10993-5, ISO 10993-10, ISO 10993-23). The "reported device performance" is that the device "conforms" to these guidances and standards, and the manufacturer has demonstrated "substantial equivalence" to a predicate device.
Acceptance Criteria (from Standards/Predicate Comparison) Reported Device Performance Power Source Safety: Compliance with IEC 60601-1 & IEC 62133-2 for internal rechargeable Lithium Battery "Battery both of them are complied with the 60601-1 standard." "This difference will not affect the safety and effectiveness." (referring to difference from predicate) Physical Parameters (Dimensions, Weight, Appearance) Impact on Safety/Effectiveness "The physical parameters (dimensions, appearance,) have minor differences with predicate device. They will not affect the safety and effectiveness of the subject device." Application Area: Covered by predicate device's application "The application area of subject device is covered in predicate device. It will not affect the safety and effectiveness of the subject device." Timer Settings: Functionality for varied treatment times "The proposed device just offers three timing settings (15min, 30min, 45min), which are more convenient for patients to use, while the predicate only has one time setting." Implied compliance with safety. Working Mode Equivalence: Similarity of compression modes "The subject device has only one working mode, and it is substantially equivalent to the second working mode 2 of the predicate device." Noise Level: No exceedance of acceptable noise limits "<55dB" (compared to predicate's ≤ 65 dB). "The acceptance criteria of subject device is included in predicate device. It will not raise any safety and effectiveness issue of the subject device." Operating Conditions: Device safely operates within specified environment "The operating condition and the transportation &storage environment of subject device has passed the safety test, and the Instructions for Use provides the operating condition, so the difference in operating condition between subject device and predicate device will not affect the safety and effectiveness of subject device." Electrical Safety & EMC: Compliance with IEC 60601-1, 60601-1-2, 60601-1-11 Explicitly stated: "IEC 60601-1", "IEC 60601-1-2", "IEC 60601-1-11", "IEC 62133-2" Biocompatibility: Absence of adverse biological reactions "The biocompatibility evaluation for the device was conducted in accordance with... ISO 10993-1," including "Cytotoxicity," "Sensitization," "Irritation." General Safety and Effectiveness: Non-inferiority to predicate "The subject device... is substantially equivalent to the predicate device (K222991)."  
The requested information points (2-9) are specific to the evaluation of AI/ML models in medical devices. Since this is a traditional, non-AI device, these sections are not applicable and are not present in the provided document.
To reiterate:
- No AI/ML Performance Study Conducted: This clearance is for a physical device, not an AI/ML algorithm.
 - No Test Set/Training Set: These concepts are not applicable to the clearance of this type of device.
 - No Experts for Ground Truth: Ground truth (e.g., for disease detection) is not established for this device as it does not perform diagnostic or screening functions.
 - No MRMC Study: This is a human-use device, but it does not involve human readers interpreting images with or without AI assistance.
 - No Standalone Algorithm Performance: The device itself is the product, not an algorithm.
 - No Clinical Tests: As stated directly: "No Clinical Test conducted."
 
Ask a specific question about this device
(238 days)
China
Re: K242140
Trade/Device Name: Air Compression Leg Massager (K-705) Regulation Number: 21 CFR 890.5650
Powered inflatable tube massager Regulatory Class: II Product Code: IRP, IRO Regulation Number: 21 CFR 890.5650
| /         |
| Regulation number                                | 21 CFR 890.5650
| 21 CFR 890.5650
| 21 CFR 890.5650
Air Compression Leg Massager is indicated for the temporary relief of minor muscle aches and pains and for temporary increase in circulation to the treated areas in people who are in good health. Air Compression Leg Massager simulates kneading and stroking of tissues by using an inflatable garment.
Air Compression Leg Massager is a portable and rechargeable device. It is intended to be an over-the-counter portable inflatable tube massage system which simulates kneading of tissue with the hards by use of inflatable presure cuffs. It can be used to temporarily increase blood circulation and temporarily relieve minor muscle aches and pains.
Air Compression Leg Massager supplied clean and non-sterile, utilizes the pneumatically controlled by an electronically controlled air pump unit. A pump, battery and control components are protectively housed in a plastic case of Controller.
Function buttons and light emitting diode (LED) indicators on the user interface. There is a charging port at the bottom of Controller for connecting the alternating current (AC) adapter plug.
Each leg wap has an air hose for connection to Controller, and both encase a 2-chamber air bladder inside. It can be wrapped and massaged separately by the two chambers. The soft medical fabric of wraps provides patient comfort and biocompatibility compliance.
Air Compression Leg Massager is also capable of providing the warming and vibration, these are included for an improved user experience.
The provided text does not contain detailed information about acceptance criteria for device performance or a study that specifically proves the device meets those criteria. The document is a 510(k) summary for an Air Compression Leg Massager, primarily focusing on demonstrating substantial equivalence to predicate devices, rather than presenting a performance study with specific acceptance criteria and results for the subject device.
The "Performance Data" section (VIII) lists several non-clinical tests performed to support the substantial equivalence determination, but these are primarily related to safety, electromagnetic compatibility, battery safety, and software validation, not the direct clinical performance of improving circulation or relieving aches and pains.
Therefore, many of the requested details cannot be extracted from this document. However, I can summarize what is present:
What is present in the document:
- Non-clinical tests performed: Biocompatibility, Electrical Safety and EMC, Battery Safety, and Software Verification and Validation.
 - Result of these tests: They "passed" or "demonstrated that all software requirement specifications are met and all software hazards have been mitigated to acceptable risk levels."
 - Overall Conclusion: The device is considered "as safe, as effective, and performs as well as the primary predicate device and secondary predicate device" based on this analysis and non-clinical tests.
 
What is NOT present in the document (and thus cannot be filled in):
- A table of acceptance criteria and reported device performance for clinical effectiveness (e.g., specific metrics for pain relief or circulation increase).
 - Sample size used for a performance test set.
 - Data provenance (e.g., country of origin, retrospective/prospective) for a performance test set.
 - Number of experts used or their qualifications for establishing ground truth (as no clinical performance study is detailed).
 - Adjudication method for a test set.
 - Information on a Multi-Reader Multi-Case (MRMC) comparative effectiveness study or effect size.
 - Information on a standalone (algorithm only) performance study.
 - The type of ground truth used for clinical performance.
 - The sample size for the training set (as it's a physical device, not an AI/ML algorithm that requires a training set in the described sense).
 - How the ground truth for the training set was established.
 
Based on the available information, here's a summary of the compliance for the listed non-clinical tests:
| Test Category | Acceptance Criteria (Implied by standard compliance) | Reported Device Performance and Conclusion | 
|---|---|---|
| Biocompatibility Testing | Compliance with ISO 10993-5 (in vitro cytotoxicity), ISO 10993-10 (skin sensitization), and ISO 10993-23 (skin irritation) indicating the body-contacting materials (Nylon polyester for leg wraps, ABS, PC for enclosure) are safe for intended contact. This implies non-toxic, non-irritating, and non-sensitizing properties. | "The following testing was performed to, and passed, including: ISO 10993-5, ISO 10993-10, ISO 10993-23." This confirms the device meets the biocompatibility requirements. | 
| Electrical Safety and EMC | Compliance with IEC 60601-1 (general requirements for basic safety and essential performance), IEC 60601-1-2 (electromagnetic disturbances - requirements and tests), and IEC 60601-1-11 (requirements for home healthcare environment). This implies the device safely operates electrically, does not interfere with other devices, and is safe for home use. | "Electrical safety and EMC testing was performed to, and passed, the following standards: IEC 60601-1, IEC 60601-1-2, IEC 60601-1-11." This confirms compliance with international safety and EMC standards. | 
| Battery Safety | Compliance with IEC 62133-2 (safety requirements for portable sealed secondary cells, and for batteries made from them, for use in portable applications - Part 2: Lithium systems). This implies the internal lithium battery meets safety standards to prevent hazards like overheating, fire, or explosion. | The testing for IEC 62133-2 was performed and passed, implying the battery components are safe. | 
| Software Verification and Validation | Basic documentation consistent with 510(k) requirements. System validation testing to demonstrate that all software requirement specifications are met and all software hazards have been mitigated to acceptable risk levels. This implies the software (firmware/microprocessor control) functions as intended and is free from critical defects that could pose a safety risk. | "Software documentation consistent with basic documentation this 510(k). System validation testing presented in this 510(k) demonstrated that all software requirement specifications are met and all software hazards have been mitigated to acceptable risk levels." This confirms the software's functional and safety integrity as per the established requirements. | 
Study that proves the device meets the acceptance criteria:
The document states that the substantial equivalence determination is supported by these non-clinical performance data. It does not describe a clinical study measuring the device's efficacy in achieving "temporary relief of minor muscle aches and pains" or "temporary increase in circulation," as the FDA often relies on technological similarity to a predicate device for this type of claim, assuming the predicate's effectiveness. The listed tests are primarily aimed at ensuring the device's safety and fundamental operational integrity as an inflatable tube massager.
Therefore, for the clinical performance claims (pain relief, circulation increase), the "study" is implicitly the demonstration of substantial equivalence to already cleared predicate devices that have established these claims, rather than a de novo clinical trial with specific clinical acceptance criteria for the subject device.
Ask a specific question about this device
(141 days)
ACM-PLUS-A1, ACM-PLUS-A2, ACM-PLUS-A3, ACM-PLUS-A4, ACM-PLUS-A5, ACM-PLUS-A6) Regulation Number: 21 CFR 890.5650
Powered Inflatable Tube                                               |
| Regulation:          | 21 CFR § 890.5650
The Air Compression Massager is an air pressure massager intended to temporarily relieve minor muscle aches and/or pains, and to temporarily increase circulation to the treated areas.
The Air compression massager is a powered inflatable tube massager. It is intended to temporarily relieve minor muscle aches and/or pains, and to temporarily increase circulation to the treated areas. It simulates manual kneading and stroking of tissues by the use of an inflatable pressure cuff. The devices are to be used by people who are in good health. The devices are powered by an internal IEC 62133-2 compliant lithium-ion battery. The user interface on the Air compression massager is a series of buttons with a small display screen to display the treatment time, pressure level, mode and chamber status. The user interface provides for: Starting and stopping the massage treatment; Adjusting treatment related parameters such as treatment time and pressure level etc.; Selection of the chamber to boost the pressure. In addition to the user interface on the devices, the subject device have Bluetooth capability that allows the use of a Beoka app to control the device. The Bluetooth app allows the user to use a compatible Android or iOS phone to select and set device parameters listed above for convenience. The product is provided non-sterile, and not to be sterilized by the user prior to use. All models in this submission are the same except for the color of controller and button shape.
The provided text describes a 510(k) premarket notification for an "Air compression massager." This document demonstrates the substantial equivalence of the new device to existing predicate devices, rather than proving that the device meets acceptance criteria through a specific study with clearly defined performance metrics, ground truth, and statistical analysis typically found for diagnostic or screening devices.
The document states: "No clinical test data was used to support the decision of substantial equivalence." This means there was no clinical study conducted to prove the device meets specific acceptance criteria related to its performance in a clinical setting (e.g., accuracy, sensitivity, specificity, or improvement in human reader performance).
Instead, the acceptance criteria and study described here are focused on non-clinical safety and performance aspects to demonstrate substantial equivalence to legally marketed predicate devices.
Here's an attempt to extract and describe the information requested based on the provided text, acknowledging the limitations due to the device type and the nature of the 510(k) submission:
Acceptance Criteria and Device Performance (Non-Clinical)
Since this is a massager and not a diagnostic device, the "acceptance criteria" and "performance" are framed around compliance with recognized safety and performance standards rather than typical diagnostic performance metrics (e.g., sensitivity, specificity, AUC).
1. Table of Acceptance Criteria and Reported Device Performance
| Acceptance Criteria Type | Standard Designation Number / Requirement | Reported Device Performance | 
|---|---|---|
| Safety | ANSI AAMI ES60601-1:2005/(R)2012 & A1:2012, C1:2009/(R)2012 & A2:2010/(R)2012 (Cons. Text) [Incl. AMD2:2021] | Conforms | 
| Electromagnetic Compatibility (EMC) | IEC 60601-1-2:2020 | Conforms | 
| Wireless Coexistence | IEC TS 60601-4-2: 2024, IEEE ANSI USEMCSC C63.27-2021, AAMI TIR69:2017/(R2020) | Conforms | 
| Home Healthcare Environment | IEC 60601-1-11:2020 | Conforms | 
| Performance | Enterprise standard | Conforms (meets pre-defined internal acceptance criteria as stated in section 6.1) | 
| Biocompatibility | ISO 10993-1:2018; ISO 10993-5:2009; ISO 10993-10:2021; ISO 10993-23: 2021 | Conforms | 
| Software Validation | ANSI AAMI IEC 62304:2006/A1:2016 | Conforms | 
| Lithium Battery | IEC 62133-2: 2017 | Conforms | 
| Product Service Life | (Implicitly part of non-clinical testing) | Conforms | 
| Function Test | (Implicitly part of non-clinical testing) | Conforms | 
2. Sample Size Used for the Test Set and Data Provenance
For this type of device and submission, the "test set" refers to the specific physical units or components of the device that underwent the non-clinical tests. The text does not specify the exact number of units tested.
- Sample Size: Not explicitly stated as a number of tested units beyond "a series of safety and performance tests were conducted on the subject device."
 - Data Provenance: The document is a submission from "Sichuan Qianli-beoka Medical Technology Inc." in China. The testing would have been conducted by or for this manufacturer. The nature of these tests is laboratory-based, non-clinical. It is not retrospective or prospective in the sense of a patient-based clinical study.
 
3. Number of Experts Used to Establish Ground Truth for the Test Set and Qualifications of Experts
- Number of Experts: Not applicable. For non-clinical performance and safety testing against engineering standards, "ground truth" is established by the specifications of the standards themselves and the measurement protocols. There are no human experts classifying outcomes in a test set as would be the case for an AI diagnostic device.
 - Qualifications of Experts: Not applicable in the context of diagnostic interpretation. The testing would be conducted by qualified engineers and technicians at certified labs.
 
4. Adjudication Method for the Test Set
- Adjudication Method: Not applicable. As non-clinical engineering and safety tests, outcomes are determined directly by measurement against defined thresholds in the standards, not by human or consensus adjudication of interpretations.
 
5. MRMC Comparative Effectiveness Study
- MRMC Study: No. The document explicitly states: "No clinical test data was used to support the decision of substantial equivalence." This type of study is used for diagnostic devices to evaluate the impact of AI on human reader performance, which is not relevant for an air compression massager.
 
6. Standalone Performance (Algorithm Only)
- Standalone Performance: Not applicable. This device is not an AI diagnostic algorithm; it is a physical medical device (massager). Its "performance" is measured by its mechanical and electrical characteristics meeting specified standards.
 
7. Type of Ground Truth Used
- Type of Ground Truth: For the non-clinical tests, the "ground truth" is adherence to the specified technical standards (e.g., IEC 60601-1, ISO 10993-1). This is essentially engineering and regulatory compliance, not clinical ground truth derived from expert consensus, pathology, or outcomes data.
 
8. Sample Size for the Training Set
- Sample Size for Training Set: Not applicable. This document is for a physical medical device, not an AI model that requires a training set.
 
9. How the Ground Truth for the Training Set Was Established
- Ground Truth for Training Set: Not applicable. As there is no training set for an AI model, there is no ground truth to establish in this context.
 
Ask a specific question about this device
(74 days)
Ankle Wrap, Large (590330-04); Game Ready Ankle Wrap, Extra Large (590340-04) Regulation Number: 21 CFR 890.5650
The Game Ready system is indicated for the temporary relief of minor muscle aches and pains. The device is indicated for temporary increase in circulation of the treated areas in people who are in good health, and simulate kneading and stroking of tissues using an inflatable wrap. The Game Ready system is indicated for localized therapy in situations where cold temperature therapy is necessary or desirable.
Game Ready system (550500-04); Game Ready Control Unit (550550-04); Game Ready Full Leg Boot Wrap - Medium (590923-04); Game Ready Full Leg Boot Wrap - Large (590922-04); Game Ready C-T Spine Wrap (590502-04); Game Ready Half Leg Boot (590906-04); Game Ready Back Wrap (590500-04); Game Ready Hand/Wrist Wrap (590811-04); Game Ready Flexed Elbow Wrap (590903-04); Game Ready Straight Elbow Wrap (590200-04); Game Ready Shoulder Wrap, Medium, Right (590422-04); Game Ready Shoulder Wrap, Large, Right (590432-04); Game Ready Shoulder Wrap, Medium, Left (590424-04); Game Ready Shoulder Wrap, Large, Left (590434-04); Game Ready Hip/Groin Wrap, Right (590602-04); Game Ready Hip/Groin Wrap, Left (590604-04); Game Ready Straight Knee Wrap (590100-04); Game Articulated Knee Wrap (590160-04); Game Ready Ankle Wrap, Large (590330-04); Game Ready Ankle Wrap, Extra Large (590340-04)
The provided text is an FDA 510(k) clearance letter for the Game Ready System, a powered inflatable tube massager. It does not contain any information regarding acceptance criteria or a study that proves the device meets acceptance criteria.
The letter confirms that the device is substantially equivalent to legally marketed predicate devices and is subject to general controls provisions of the Act. It outlines regulatory requirements for the manufacturer but does not include details on performance assessment studies or acceptance criteria that would typically be found in a clinical or validation study report.
Therefore, I cannot extract the requested information from the provided input.
Ask a specific question about this device
(34 days)
200122 China
Re: K243791
Trade/Device Name: Air Pressure Therapy System Regulation Number: 21 CFR 890.5650
The Air Pressure Therapy System is intended to temporarily relieve minor muscleaches and/or pains, and to temporarily increase circulation to the treated areas in people who are in good health.
Not Found
I am sorry, but the provided text is a 510(k) clearance letter from the FDA for a medical device called "Air Pressure Therapy System."
This document does not contain any information about:
- Acceptance criteria
 - Device performance results
 - Details of a study (e.g., sample sizes, data provenance, expert qualifications, ground truth, adjudication methods, MRMC studies, or standalone algorithm performance).
 
The letter primarily confirms that the device is substantially equivalent to legally marketed predicate devices and is subject to general controls and other regulations. It also includes the "Indications for Use" statement for the device.
Therefore, I cannot fulfill your request to describe the acceptance criteria and the study that proves the device meets them based on the provided text.
Ask a specific question about this device
Page 1 of 13