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As originally asked by Rich Meader. How Do You Handle Labeling Under ISO 14971:2012? ISO 14971:2012 disallows the use of labeling as a mitigation to risk. This seems to present a problem if your initial assignment of a risk probability does not take into consideration design controls as prescribed by some risk analysis gurus (though not everyone takes this approach). So if your probability of a hazard is high before design controls then this seems to imply that after you carefully design your labeling and subject it to usability assessment, etc. you can not use these efforts to say that your probability has been reduced. For example, let’s say that you have a medical device that uses ultrasonic energy for a diagnostic or therapeutic indication. It may be important that the device not be used on patients that are implanted with certain devices (e.g. an ICD or pacemaker). How do you mitigate the risk of this hazardous situation other than through labeling? Might one answer be to elevate the labeling to include a “WARNING” statement? Has anyone found warning symbols that might be appropriate for the proposed hazardous situation? Am I missing something here? How do others out there see this issue? Erin Seiler, MBA Rick McCullar Beluh Mabasa Ginting Daniel John David Amor Kriss Anderson The whole risk thing is mired in bureaucratic nonsense with no real-life applicability. Does anyone really believe that when we provide surgeon training with cadavers (yes, that’s instruction to the user), it does nothing to reduce risk??? The EU has broken risk management and it no longer has any value. No risk can be entirely eliminated, so all risks have residual risk. Does anyone really take every single risk (no matter how negligible) and warn against it in the IFU? The MDD is broken. James (Jim) Dent, LSSBB, DTM Warning information on labels is only supplemental information and does actually reduce the chance of a device being used incorrectly. Marie Suetsugu Marie Suetsugu Marcelo Antunes Section A.2 of Annex I to Directive 98/79/EC says that users shall be informed about the residual risks (2) and the manufacturers shall not attribute any additional risk reduction to this information . This type of information (about residual risks) is what the deviation focus on. So, any information that discloses residual risks (2) cannot reduce risks. Any information for safety (1) can reduce risks. David Amor Hugh F. McCann, Jr Les Henderson Rich Meader Mark Swanson Rich Meader Michael Wienholt, RAC Jon Speer But as the comments indicate, labeling is definitely a risk control measure. Stacy Tseng Andrew Keirns Markus Weber Marcello Conegliano Jeff Gutmann Ivan Liljegren Stefan Eisenring Michael Wienholt, RAC Michael Wienholt, RAC Katarzyna Zofia C. Katarzyna Zofia C. Katarzyna Zofia C. Michael Eberhard Jayeshkumar Dangruchiya Rich Meader Julie Omohundro Maurizio Colombo Marked as spam
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