Program 7386.003a
CHAPTER 86 MEDICAL AND RADIOLOGICAL DEVICE MONITORING AND QUALITY CONFORMANCE
Inspection of Domestic and Foreign Manufacturers of Diagnostic X Ray Equipment |
IMPLEMENTATION DATE 6/1/2008 |
|
COMPLETION DATE 6/1/2011 |
||
DATA REPORTING |
||
PRODUCT CODES | PROGRAM ASSIGNMENT CODES | |
---|---|---|
See Attachment A | 86003 |
FIELD REPORTING REQUIREMENTS
Center for Devices and Radiological Health
Office of Communication, Education and Radiation Programs
ATTN: Diagnostic Devices Branch (HFZ-240)
1350 Piccard Dr .
Rockville MD 20850Original documents are maintained by the home district.
This document represents the agency’s current thinking on the enforcement of the Federal Food Drug and Cosmetic Act Electronic Product Radiation Control provisions and related regulations. It does not create or confer any rights for or on any person and does not operate to bind FDA or the public. An alternative approach may be used if such approach satisfies the requirements of the applicable statute, regulations, or both.
FACTS
- All FACTS data should be entered by the investigator of record.
- Comprehensive inspections are reported in FACTS for manufacturing plants producing certified diagnostic radiation-emitting electronic products on a recurring basis.
- If the firm is not manufacturing or has not introduced any products into commerce, this time should be reported as investigations. Report all time spent for telephone calls and reviewing documentation that do not lead to on-site inspections under Operations Code 13 "Domestic investigations".
- Report time spent on operations leading to on-site inspections of manufacturers as below;
- Domestic inspections – use OP Code 12
- Foreign inspections – use OP Code 11
- Any training related to this program should be reported as below;
- Training received – use OP Code 84
- Training given – use OP Code 83
This compliance program provides guidance to FDA field and center staff for the inspection, field test and administrative/enforcement activities related to the Electronic Product Radiation Control (EPRC) provisions of the Federal Food Drug and Cosmetic Act (FFDCA, the Act) and regulations contained in Title 21 of the Code of Federal Regulations, Parts 1000 – 1050 (21 CFR 1000 – 1050). The intent of these requirements is to protect the public from unnecessary exposure to electronic products radiation. Manufacturers are responsible for producing products that do not emit hazardous or unnecessary radiation and that comply with all applicable radiation safety performance standards. All electronic product manufacturers must comply with applicable requirements in Title 21 CFR 1000, 1002, 1003, 1004 and 1005. If a mandatory radiation safety performance standard applies to a manufacturer’s product, then the manufacturer must also comply with Title 21 CFR 1010 and the product must comply with the requirements of the specific standard found in 21 CFR 1020 – 1050. Manufacturers are required to self-certify their own products to be compliant with an applicable standard, based on a quality control testing program as described in 21 CFR 1010.2. The purpose of EPRC inspections and field tests are to verify that products comply with performance standards, and that the manufacturer’s quality control testing program ensures such product compliance and radiation safety.
The Food and Drug Administration (FDA) is authorized to “review and evaluate” testing programs carried out by the industry to assure that the products minimize the delivery of unnecessary radiation to patients and to meet the standards issued regarding such products. Manufacturer compliance has been monitored through several mechanisms. The Center for Devices and Radiological Health (CDRH) and/or FDA’s Office of Regulatory Affairs (ORA) reviews and evaluates manufacturer radiation safety reports, conducts field tests of products that have been installed and are in use, conducts laboratory testing of selected products, and inspects manufacturer sites to assess the adequacy of the QC testing and record keeping programs established by the manufacturer.
The focus of this compliance program will be the investigation and inspection of those x-ray products that have been designed and manufactured for use in the diagnostic medical irradiation of humans. The specific performance standards for diagnostic x-ray systems and their major components are contained in 21 CFR 1020.30 through 1020.33. Firms covered under this program may produce either complete systems or individual components that are designed to be compatible with components produced by other manufacturers and assembled into a completed system at the final user location. Since manufacturers of such x-ray components may not produce complete systems, inspections under this program can be complex. Because of this complexity, investigators conducting inspections under this program must have in-depth knowledge of the EPRC provisions of the FFDCA and familiarity with radiation measurement techniques and instrumentation in addition to an understanding of medical device quality control processes. Training programs will be conducted by CDRH and ORA on an as-needed basis to assure that a sufficient number of properly qualified field personnel are available to meet the needs of the program.
Medical devices that emit electronic product radiation, such as diagnostic x-ray systems and components, are subject to EPRC requirements as well as Medical Device provisions of the Act and related regulations.
Medical device inspection and enforcement activities described in Compliance Program 7382.845, Inspection of Medical Device Manufacturers, may be conducted jointly with this program at CDRH and district discretion.
The EPRC provisions of the FFDCA mandate self-certification by manufacturers that their products meet the requirement of the regulations. Each manufacturer must determine the applicable requirements of the regulations and institute a program that assures the performance of their product. Prior to introduction into commerce, manufacturers are required to report this information to CDRH and properly label their products. To aid in this process, CDRH has published guidance in the form of reporting guides. The focus of these guides is to identify the pertinent information required for the specified certifiable components and to present an outline for a manufacturer to follow in preparing required information for certifiable components subject to the EPRC Performance Standards under 21 CFR 1020.30, 1020.31, and 1020.32. The reporting guides represent a mapping of the evaluation and self-certification of the conformance of diagnostic x-ray components to the applicable EPRC regulations. The guides have been created as a step-by-step process to lead manufacturers through the regulations and outline an acceptable format to establish and document programs leading to compliance for each type of regulated product.
There are currently three active guides available;
This is a continuing, non-statistical compliance program intended:
Because these inspections are intended to cover both EPRC and medical device Quality Systems Regulations, these inspections must be pre-announced according to medical device inspection compliance program. Refer to instructions provided in the Guide to Inspections of Quality Systems, August 1999, and IOM Section 5.2.1.1, Pre-Announcements.
If the inspection will only evaluate compliance with EPRC regulations pre-announcement remains necessary to facilitate the inspection. Pre-announcement ensures the firm is producing electronic products for the US market on the day of inspection, gives the firm time to collect all necessary procedures and records, and ensures appropriate individuals are available during the inspection. Section 537 of the Act permits inspection of any manufacturer for good cause, grounds for which may include introduction of any noncompliant product into US commerce, failure to comply with EPRC reporting requirements, or for purposes of investigating suspected problems with a manufacturer’s quality control testing program and assessing product conformance with performance standards.
Inspections and field testing of electronic product manufacturers should be prioritized using the following criteria:
The purpose of electronic product manufacturer inspections is to evaluate the firm’s quality control testing program to ensure product compliance with applicable performance standards and radiation safety. The inspection should also verify that EPRC requirements for reporting and recordkeeping are met by the firm.
Review the firm’s quality control testing program required under 21 CFR 1010.2 to ensure product compliance with the x-ray performance standards in 21 CFR 1020. These items may be reviewed in conjunction with review of QSIT elements when a joint EPRC/medical device inspection is conducted. The firm’s quality control testing program ensuring compliance with the x-ray performance standard will be integrated throughout the firm’s quality system required by 21 CFR 820.
Each manufacturer of a certifiable x-ray system or component is required to submit a radiation safety report for its specific product to CDRH prior to introducing products into commerce. Using the appropriate guide for the product under investigation and the general instructions from Chapter 5 of the IOM, the investigator will inspect pertinent records and files of the firm covering each of the following.
All foreign inspections should be conducted using this guide, and any special instructions contained in the inspection assignment. The failure of any foreign manufacturer to comply with these requirements may result in the article being refused admission into the United States.
Foreign inspections are subject to scheduling and time constraints as several manufacturers will be inspected in a single trip. Early planning is critical to conducting foreign inspections. Firms inspected must be notified as early as possible to ensure the firm will be producing for the US on the day of inspection, to give the firm time to collect all necessary procedures and records, prepare translations of needed documents, and make arrangements to have a translator available if needed.
Any investigator with appropriate training may conduct foreign EPRC or joint EPRC/medical device inspections.
Radiation-emitting medical devices are subject to both electronic product radiation control requirements and medical device requirements including the Quality System, Medical Device Reporting (MDR), Medical device Tracking, Corrections and Removal, and Registration and Listing regulations.
Based on district concurrence, a joint EPRC/medical device inspection covering the firm’s compliance with both sets of requirements may be conducted under this compliance program and Compliance Program 7382.845 for Inspection of Medical Device Manufacturers.
For cause inspections are usually initiated at the request of CDRH. For-cause inspections will generally follow instructions provided in this compliance program, and additional instructions or issues will be provided in the assignment.
The district has discretion to offer annotation of the FDA 483 for an EPRC inspection, if the investigator and firm believe annotation will facilitate the inspection process. An offer to annotate the FDA 483 should be extended for all joint EPRC/medical device inspections. When a FDA 483 is annotated, it should be done in accordance with the IOM Chapter 5 (Section 5.2.3).
The following statement should be included on each FDA 483:
“This document lists observations made by the FDA representative(s) during the inspection of your facility. They are inspectional observations and do not represent a final Agency determination regarding your compliance. If you have an objection regarding an observation, or have implemented, or plan to implement, corrective actions in response to an observation, you may discuss the objection or action with FDA representative(s) during the inspection or submit this information to FDA at the address above. If you have any questions, please contact FDA at the phone number and address above.”
For all medical device inspections the FDA 483 should contain the following additional statement:
“The observations noted in this form FDA 483 are not an exhaustive listing of objectionable conditions. Under the law, your firm is responsible for conducting internal self audits to identify and correct any and all violations of the quality system requirements.”
3. Investigations
Investigations are to be made to determine whether a suspected firm is in fact a manufacturer of one or more electronic products. The investigation may be initiated in preparation for a possible inspection, as a result of trade complaints, or from discovery via the Internet or printed materials of promotion of products that may not comply with EPRC requirements.
4. Physical and Documentary Samples:
Under this program, physical samples will be collected only upon CDRH approval or under special request from CDRH. Documentary samples will be collected as necessary to document conditions of noncompliance and violations of EPRC standards.
Collect samples according to procedures defined in the Investigations Operations Manual, Chapter 4, and coordinate any sample collection activity with CDRH or WEAC to ensure proper procedures are followed and chain of custody is observed to maintain sample integrity.
No laboratory testing will be done under this program. CDRH or WEAC testing may be required on special assignments under Compliance Program for Lab Testing CP 7386.006 or as indicated in Part III.A.4 of this program.
Diagnostic X ray equipment is subject to radiation safety performance standards and is regulated under Subchapter C Electronic Product Radiation Control of the FFDCA. Subchapter C provides authority to require product recalls for noncompliant or defective radiation emitting electronic products. EPRC provisions specify that, for violations of sufficient severity, the Secretary of FDA may require the manufacturer to repair, replace or refund the cost of the violative products at no cost to the user/purchaser. In addition, because products covered under this compliance program are also medical devices, Subchapter A – Drugs and Devices of the FFDCA provides authority to require product recalls for medical devices that may cause a serious risk to health.
Violations of EPRC requirements may include:
When there is a choice, regulatory/administrative action is preferred under Subchapter C, but, for maximum effectiveness, both EPRC and medical device portions of the FFDCA may be used in conjunction.
Appropriate regulatory or administrative actions include issuance of a notification of defect or non-compliance letter (warning or untitled letter), requiring repurchase, repair or replacement of product under an approved corrective action plan, or imposition of civil penalties and/or injunction. Appropriate follow-up actions should be determined by CDRH or in consultation with CDRH to ensure consistency in how EPRC requirements are enforced.
Districts classify the EIRs and CDRH is generally responsible for the final review of inspections made under this program and for the issuance of letters resulting from inspections performed by field radiological health staff. Exceptions where the district has direct reference authority are noted below under section C, Regulatory Action. The intent of this program is to follow up on problems that pose a radiation safety hazard or are a flagrant violation of EPRC requirements.
Class A, B, C, and D refer to the hazard class of the observations, related to the severity of the threat to health and safety posed by a particular non-compliant product or practice. Attachment D of Compliance Program 7386.003 for Field Compliance Testing of Diagnostic (Medical) X-ray Equipment contains a more detailed discussion of Class A and B observations, with examples provided below.
The inspection may be classified VAI for a limited number of Class B and C conditions, which are not expected to pose a radiation hazard if corrected voluntarily by the manufacturer.
If it is determined that the EPRC deficiencies are of a quantity and type to conclude there is minimal probability that the firm will produce unsafe or noncompliant products, the inspection will be classified NAI and Form FDA-483 will serve to inform the firm of any objectionable findings. Deficiencies identified as violations of concern will generally not require additional follow-up but should be discussed with the firm. Examples of deficiencies that would result in an NAI classification include:
- QC & T data exceed the test rejection limit but do not exceed the requirement(s)of the performance standard(s) applicable to the product under inspection;
- Failure to submit annual reports in a timely manner
- Using test equipment past calibration due date
Consult CDRH if additional guidance is required to classify inspection and test observations. If the inspection also covered firm compliance with medical device Quality Systems requirements, Compliance Program 7382.845, Part V, Quality System/GMP Regulatory/Administrative Follow-Up, should be consulted for appropriate regulatory and administrative follow-up.
In determining appropriate regulatory action based on inspection and test findings, the district and CDRH should consider the significance of the product, the firm’s history, whether the problem is widespread and continuing. Actions which may be considered include notification of noncompliance letters (warning and untitled letters), product repurchase, repair or replacement (recall), civil penalties and injunctions, and seizures (for radiation-emitting medical devices).
The Electronic Product Radiation Control provisions of the Federal Food Drug and Cosmetic Act (Section 535) and related regulations (21 CFR 1003) require the Agency to notify manufacturers in writing when product noncompliance with a standard is found. Manufacturers may also be advised in writing of a failure to comply with reporting and recordkeeping requirements (21 CFR 1002.31).
Issuance of all letters should follow Chapter 4 of the Regulatory Procedures Manual (RPM) http://www.fda.gov/ora/compliance_ref/rpm/. Consult the Warning Letter procedures in the RPM (Ch 4, Ex 4-1) for current instructions for obtaining Office of Chief Counsel (OCC) clearance; and the Office of Enforcement’s (OE) Warning Letter page on ORA’s intranet for templates and model letters approved by OCC. Letter templates must be used to satisfy Agency notification requirements in 21 CFR 1003.11. Where approved OCC templates are not available, consult CDRH for the current version of letter templates.
Districts have DIRECT REFERENCE AUTHORITY for EPRC letters in certain areas which are described in Chapter 4 of the RPM. For example, districts have direct reference authority to issue warning and untitled letters to assemblers of diagnostic x-ray equipment based on field test results; and may approve corrective action plans for x-ray assemblers.
For the majority of cases, where districts DO NOT have direct reference authority to issue EPRC letters, forward the report with exhibits and recommended action to CDRH for review and follow-up. CDRH will copy the accomplishing district on any such letters issued.
If the letter should contain both medical device and EPRC violations contact CDRH to discuss options for follow-up. For example, issuance of a single letter by the district, addressing both EPRC and medical device violations, may be possible with CDRH concurrence. CDRH is available for consult in assessing product noncompliance or developing regulatory and enforcement strategy.
This letter notifies the firm of major items of noncompliance and requires the firm to further notify purchasers and recall products. The firm is required to address all items in the letter, and submit a corrective action plan for CDRH approval.
Issue a major notification (warning) letter when the violation of the standard requires further regulatory action.
The firm’s quality control testing program may be also be disapproved upon issuance of a major notification letter, when the Agency believes that the manufacturer’s quality control and testing program is not following good manufacturing practices. A program disapproval orders the manufacturer to cease certification of products (i.e. stop production and testing) until the program disapproval is rescinded, and places the firm’s products on automatic import detention without prior examination, under authority of Section 534(h) of the Act and 21 CFR 1010.2 of the regulations. A program disapproval may be issued only by CDRH.
This letter notifies the firm of minor items of noncompliance and exempts the firm from further notifying purchasers and recalling products. The firm is instructed to address all items in the letter and make appropriate corrections for future production.
Issue a minor notification (untitled) letter when the violation of the standard does not justify further regulatory action at the time.
Issue an information letter when no immediate action is required of the manufacturer or when the violation is administrative in nature.
The Electronic Product Radiation Control provisions of the Federal Food Drug and Cosmetic Act (Section 535) and related regulations (21 CFR 1004) also provide for manufacturer repurchase, repair or replacement of the noncompliant electronic products.
Every major notification of noncompliance letter issued as a result of a major violation or several minor violations requires manufacturer repurchase, repair or replacement of the affected electronic products at no cost to the purchaser. The firm is required to address all items in the letter, and submit a corrective action plan for CDRH approval. Refer to RPM Chapter 7, Attachment E for approval of manufacturer's corrective action plans.
Manufacturers can refute the noncompliance or be granted an exemption, by making a written request to CDRH. The exemption can be granted upon request by the manufacturer or by the Agency at its own initiative, and must show that the noncompliance does not create a significant risk of injury.
Within 15 days after notification of the noncompliance/defect by FDA, a manufacturer may refute the alleged noncompliance under 21 CFR 1003.11(a)(3) or request an exemption from purchaser notification and correction as specified under 21 CFR 1003.30. If a manufacturer refutes the alleged noncompliance, or requests an exemption, the evidence presented by the manufacturer is evaluated by CDRH before granting or denying the request for exemption or responding to the refutation. Refer to RPM Chapter 7, Attachment E for information on responding to exemption requests and refutations.
Immediately notify CDRH and State and local health authorities (through RRHR) for any Class A hazard.
For all inspections and tests that may require issuance of a letter, the EIR must be completed in a timely manner and recommendation should be provided to CDRH or the district compliance officer to allow sufficient time to review, draft, and secure approval for the letter. Timeframes for clearance of letters are provided in Chapter 4 of the RPM.
Civil penalties should be recommended for violations of Subchapter C of the Act after other actions have failed to achieve compliance, or for knowing and willful violations. More severe civil penalty assessments may be sought under Section 303(f). See CPG Sec. 390.300 and RPM Chapter 6, Civil Penalties - Electronic Product Radiation Control. Informal consultation with the Center at an early stage in the development of a regulatory action is encouraged in order to facilitate timely implementation of the action; contact Diagnostic Devices Branch Chief or Lead CSO at (240) 276-3332.
If an establishment has a continuing pattern of significant deviations in spite of past warnings, injunction will usually be the recommended action of choice. If a serious health hazard exists, the recommendation should include a request for a temporary restraining order (TRO) to prevent the distribution of products that have been manufactured under the violative conditions documented by the inspection report per the instructions in Chapter 6 of the RPM. Civil penalties and injunctions may be recommended concurrently.
Use administrative detention and recommend seizure of a defective or noncompliant radiation-emitting medical device if all three conditions below apply:
Informal consultation with the Center at an early stage in the development of a regulatory action is encouraged; contact Diagnostic Devices Branch Chief or Lead CSO at (240) 276-3332.
Some states have Radiation Control Programs within the State Health Department or Department of Environmental Health, which may have adopted portions of the EPRC requirements into their radiation safety regulations.
Districts should use all reasonable means available to encourage voluntary conformance of products with the performance standard regardless of the date of manufacture. It is recommended that the districts coordinate regulatory activity with appropriate state representatives through the RRHR and DFSR, particularly where local authority may assist in achieving correction of a deficiency. This may be particularly useful to address issues related to product use where the State may have regulatory authority, which extends beyond FDA authority to regulate the design, production or manufacture of the product.
Regulatory follow-up for joint EPRC/quality systems inspections can be handled separately or in combination at the discretion of the district and CDRH. Refer to Part V in Compliance Program 7382.845, Quality System/GMP Regulatory/Administrative Follow-Up, for guidance on regulatory actions related to radiation-emitting medical devices. Enforcement actions on radiation-emitting medical device firms, which also include EPRC violations, require CDRH concurrence before implementation by the field. Contact CDRH for consultation when both EPRC and quality systems violations are noted during an inspection.
Federal Food, Drug, and Cosmetic Act, As Amended
Electronic Product Radiation Control Provisions (formerly known as the Radiation Control for Health and Safety Act of 1968, Public Law 90-602, 0ctober 18, 1968)
http://www.fda.gov/opacom/laws/fdcact/fdctoc.htm
21 CFR 1000 – 1005, General Requirements for All Electronic Products which Emit Radiation
http://www.accessdata.fda.gov/scripts/cdrh/cfdocs/cfcfr/CFRSearch.cfm?CFRPartFrom=1000&CFRPartTo=1005
21 CFR 1010, Performance Standards for Electronic Products: General
http://www.accessdata.fda.gov/scripts/cdrh/cfdocs/cfcfr/CFRSearch.cfm?CFRPart=1010
21 CFR 1020 – 1050, Specific Performance Standards for Electronic Products
http://www.accessdata.fda.gov/scripts/cdrh/cfdocs/cfcfr/CFRSearch.cfm?CFRPartFrom=1020&CFRPartTo=1050
http://www.fda.gov/ora/compliance_ref/rpm/default.htm
http://www.fda.gov/ora/inspect_ref/iom/default.htm
5. Compliance Program 7382.845 - Inspection of Medical Device Manufacturers
http://www.fda.gov/cdrh/comp/guidance/7382.845.pdfversion.html
FDA home page
http://www.fda.gov
ORA home page
http://www.fda.gov/ora/
CDRH home page
http://www.fda.gov/cdrh/
Field Accomplishments and Compliance Tracking System (FACTS)
(visit ORA’s home page, then click the FACTS icon.)
Electronic Product Radiation Control home page
http://www.fda.gov/cdrh/radhealth
Product Code Classification Database (searchable)
http://www.accessdata.fda.gov/scripts/cdrh/cfdocs/cfpcd/pcdsimplesearch.cfm
Good Guidance Practices Database (searchable)
http://www.accessdata.fda.gov/scripts/cdrh/cfdocs/cfggp/search.cfm
Office of Communication, Education and Radiation Programs, Division of Mammography Quality and Radiation Programs (DMQRP)
Contact for support in planning and executing inspections and field tests, classification of items of non-compliance, and for interpretation and current policy on EPRC requirements. Send all inspection and test reports to Chief, Diagnostic Devices Branch, FDA/CDRH Office of Communication, Education and Radiation Programs (HFZ-240), 1350 Piccard Drive, Rockville, MD 20850.
Name | Phone | Mail Stop | Position/Expertise | |
---|---|---|---|---|
Sean Boyd |
(240) 276-3287 |
HFZ-240 |
Chief, Diagnostic Devices Branch |
|
Dr. Helen Barr |
(240) 276-3275 |
HFZ-240 |
Director, DMQRP |
|
Thomas Ohlhaber |
(240) 276-3274 |
HFZ-240 |
Deputy Director, DMQRP |
|
Tommy Mosely |
(240) 276-3311 |
HFZ-240 |
Consumer Safety Officer, diagnostic x-ray products |
|
Ellyce Ratskoff |
(240) 276-3265 |
HFZ-240 |
Consumer Safety Officer, EPRC workplanning |
|
Nick Walker |
(240) 276-3266 |
HFZ-240 |
Consumer Safety Officer, diagnostic x-ray products |
Office of Science and Engineering Laboratories
Contact for assistance with identifying appropriate instrumentation for use in measuring electronic product radiation emissions.
Name | Phone | Mail Stop | Position | |
---|---|---|---|---|
Mary Walker | (301) 796-2558 | mary.walker@fda.hhs.gov | TBD | X-ray instrumentation and calibration |
Field Regional Radiological Health Representatives
Name |
Phone |
Mail Stop |
Position |
|
---|---|---|---|---|
Mike Leal |
(508) 793-0422 |
HFR-NE2570 |
NE RRHR |
|
Tom Trout |
(615) 366-7817 |
HFR-SE300 |
SE RRHR |
|
Rachel Evans |
(312) 596-6518 |
HFR-CE25 |
CE RRHR |
|
Scotty Hargrave |
(214) 253-4930 |
HFR-SW19 |
SW RRHR |
|
Suzie Kent |
(208) 334-1054 |
HFR-PA3505 |
PA RRHR |
Winchester Engineering and Analytical Center contacts
Name | Phone | Mail Stop | Position | |
---|---|---|---|---|
John Marzilli | (781) 729-5700 x749 | john.marzilli@fda.hhs.gov | HFR-NE400 | WEAC Director |
Vacant | Vacant | Vacant | HFR-NE400 | Radiation Safety Officer |
Vacant | Vacant | Vacant | HFR-NE400 | Engineering Branch Director, WEAC |
Jane Driscoll | (781) 729-5700 x716 | jane.driscoll@fda.hhs.gov | HFR-NE480 | Metrology Supervisor |
Joe Matrisciano | (781) 729-5700 x736 | joseph.matrisciano@fda.hhs.gov | HFR-NE480 | Engineering Supervisor |
ID | Translation of Proposed Code | Product Name |
RH Radiation Type |
CDRH Panel Code | CDRH Medical Specialty Code | 3 Letter Code |
---|---|---|---|---|---|---|
216 |
Dental Diagnostic X-Ray Equipment |
Unit, X-Ray, Extraoral With Timer |
94 |
76 |
DE |
EHD |
218 |
Dental Diagnostic X-Ray Equipment |
Unit, X-Ray, Intraoral Source |
94 |
76 |
DE |
EAP |
219 |
Dental Diagnostic X-Ray Equipment |
Dental X-Ray Film Holder * |
94 |
76 |
DE |
EGZ |
220 |
Dental Diagnostic X-Ray Equipment |
X-Ray Beam Aligner, Dental * |
94 |
76 |
DE |
EHA |
221 |
Dental Diagnostic X-Ray Equipment |
Cephalometer |
94 |
76 |
DE |
EAG |
165 |
Medical Diagnostic X-Ray Equipment |
Collimator, X-Ray |
94 |
90 |
RA |
EHB |
166 |
Medical Diagnostic X-Ray Equipment |
Collimator, Automatic Radiographic |
94 |
90 |
RA |
IZW |
167 |
Medical Diagnostic X-Ray Equipment |
Collimator, Manual Radiographic |
94 |
90 |
RA |
IZX |
168 |
Medical Diagnostic X-Ray Equipment |
System, X-Ray, Tomography, Computed |
94 |
90 |
RA |
JAK |
169 |
Medical Diagnostic X-Ray Equipment |
System, X-Ray, Topographic |
94 |
90 |
RA |
IZF |
170 |
Medical Diagnostic X-Ray Equipment |
Cradle |
94 |
90 |
RA |
KXH |
171 |
Medical Diagnostic X-Ray Equipment |
Film Changer |
94 |
90 |
RA |
KPX |
172 |
Medical Diagnostic X-Ray Equipment |
System, X-Ray, Photofluorographic |
94 |
90 |
RA |
IZG |
173 |
Medical Diagnostic X-Ray Equipment |
Fluoroscopic System, Image Intensified |
94 |
90 |
RA |
JAA |
174 |
Medical Diagnostic X-Ray Equipment |
Fluoroscopic System, Non-Image Intensified |
94 |
90 |
RA |
JAB |
175 |
Medical Diagnostic X-Ray Equipment |
Camera, X-Ray, Fluorographic Cine or Spot |
94 |
90 |
RA |
IZJ |
176 |
Medical Diagnostic X-Ray Equipment |
General Radiographic Mobile/Portable System |
94 |
90 |
RA |
IZL |
177 |
Medical Diagnostic X-Ray Equipment |
System, X-Ray, Stationary |
94 |
90 |
RA |
KPR |
178 |
Medical Diagnostic X-Ray Equipment |
Mammographic System |
94 |
90 |
RA |
IZH |
179 |
Medical Diagnostic X-Ray Equipment |
Mammographic System, Full Field Digital |
94 |
90 |
RA |
MUE |
180 |
Medical Diagnostic X-Ray Equipment |
Radiation Therapy Simulation System |
94 |
90 |
RA |
KPQ |
181 |
Medical Diagnostic X-Ray Equipment |
Spot Film Device |
94 |
90 |
RA |
IXL |
182 |
Medical Diagnostic X-Ray Equipment |
Holder, Radiographic Cassette, Wall-Mounted |
94 |
90 |
RA |
IXY |
183 |
Medical Diagnostic X-Ray Equipment |
X-Ray Beam Limiting Device |
94 |
90 |
RA |
KPW |
187 |
Medical Diagnostic X-Ray Equipment |
Generator, High-Voltage, X-Ray, Diagnostic |
94 |
90 |
RA |
IZO |
188 |
Medical Diagnostic X-Ray Equipment |
Screen, Intensifying, Radiographic |
94 |
90 |
RA |
EAM |
189 |
Medical Diagnostic X-Ray Equipment |
X-Ray Table |
94 |
90 |
RA |
KXJ |
190 |
Medical Diagnostic X-Ray Equipment |
X-Ray Table, Stationary Top |
94 |
90 |
RA |
IXQ |
191 |
Medical Diagnostic X-Ray Equipment |
X-Ray Table, Tilting |
94 |
90 |
RA |
IXR |
192 |
Medical Diagnostic X-Ray Equipment |
X-Ray Table, Non-Tilting, Powered |
94 |
90 |
RA |
IZZ |
193 |
Medical Diagnostic X-Ray Equipment |
Diagnostic X-Ray Tube Housing Assembly |
94 |
90 |
RA |
ITY |
194 |
Medical Diagnostic X-Ray Equipment |
Tube, Mount, X-Ray, Diagnostic * |
94 |
90 |
RA |
IYB |
195 |
Medical Diagnostic X-Ray Equipment |
Radiographic Aperture |
94 |
90 |
RA |
IZS |
196 |
Medical Diagnostic X-Ray Equipment |
Radiographic Grid * |
94 |
90 |
RA |
IXJ |
197 |
Medical Diagnostic X-Ray Equipment |
Radiographic Film Cassette * |
94 |
90 |
RA |
IXA |
198 |
Medical Diagnostic X-Ray Equipment |
Radiographic Camera, Focal Spot |
94 |
90 |
RA |
IXH |
199 |
Medical Diagnostic X-Ray Equipment |
Holder, Head, Radiographic |
94 |
90 |
RA |
IWY |
200. |
Medical Diagnostic X-Ray Equipment |
Chair, Pneumoencephalographic |
94 |
90 |
RA |
HBK |
201 |
Medical Diagnostic X-Ray Equipment |
Barrier, Control Panel, X-Ray, Moveable |
94 |
90 |
RA |
IWX |
202 |
Medical Diagnostic X-Ray Equipment |
System, Computer, Digitizer for Screening Mammograms * |
94 |
90 |
RA |
MWE |
203 |
Medical Diagnostic X-Ray Equipment |
System, X-Ray, Angiographic |
94 |
90 |
RA |
IZI |
204 |
Medical Diagnostic X-Ray Equipment |
Solid State X-Ray Imager (Flat Panel/Digital Imager) |
94 |
90 |
RA |
MQB |
213 |
Cabinet X-Ray Systems, Medical |
Cabinet, X-Ray System, Medical * |
94 |
90 |
RA |
MWP |
214 |
Medical Diagnostic X-Ray Equipment |
Radiographic Cone |
94 |
90 |
RA |
IZT |
215 |
Dental Diagnostic X-Ray Equipment |
Radiographic Cone, Lead-Lined |
94 |
90 |
RA |
EAH |
217 |
Dental Diagnostic X-Ray Equipment |
System, X-Ray, Extraoral Source, Digital |
94 |
90 |
RA |
MUH |
224 |
X-Ray Film and Film Processing Materials |
Radiographic Film * |
94 |
90 |
RA |
IWZ |
225 |
X-Ray Film and Film Processing Materials |
Reusable Image Media * |
94 |
90 |
RA |
LQA |
226 |
X-Ray Film and Film Processing Materials |
Digital Image Storage Device * |
94 |
90 |
RA |
LMB |
227 |
X-Ray Film and Film Processing Materials |
Programmer, Changer, Film/Cassette, Radiographic * |
94 |
90 |
RA |
IZP |
228 |
X-Ray Film and Film Processing Materials |
Processor, Radiographic-Film, Automatic, Dental * |
94 |
90 |
RA |
EGY |
229 |
X-Ray Film and Film Processing Materials |
Processor, Radiographic-Film, Automatic * |
94 |
90 |
RA |
IXW |
230 |
X-Ray Film and Film Processing Materials |
Processor, Cine Film * |
94 |
90 |
RA |
IXX |
231 |
X-Ray Film and Film Processing Materials |
Dryer, Film, Radiographic * |
94 |
90 |
RA |
EGW |
323 |
X-Ray Film and Film Processing Materials |
Controlled Temperature, Radiographic * |
94 |
90 |
RA |
EGT |
233 |
X-Ray Film and Film Processing Materials |
System, X-Ray, Film Marking, Radiographic * |
94 |
90 |
RA |
JAC |
274 |
X-Ray Bone Densitometers |
Densitometer, Bone |
94 |
90 |
RA |
KGI |
184 |
Medical Diagnostic X-Ray Equipment |
X-Ray Controls – Combination, Medical Diagnostic X-Ray Equipment |
94 |
94 |
RH |
RBZ |
185 |
Medical Diagnostic X-Ray Equipment |
X-Ray Controls – Fluoroscopic, Medical Diagnostic X-Ray Equipment |
94 |
94 |
RH |
RCA |
186 |
Medical Diagnostic X-Ray Equipment |
X-Ray Controls – Radiographic, Medical Diagnostic X-Ray Equipment |
94 |
94 |
RH |
RCB |
205 |
Medical Diagnostic X-Ray Equipment |
C-Arm Fluoroscopic X-Ray System |
94 |
94 |
RH |
RCC |
206 |
Medical Diagnostic X-Ray Equipment |
X-Ray Image Receptor |
94 |
94 |
RH |
RCD |
207 |
Medical Diagnostic X-Ray Equipment |
Other |
94 |
94 |
RH |
RZZ |
222 |
Dental Diagnostic X-Ray Equipment |
Cephalometric Devices |
94 |
94 |
RH |
RCI |
223 |
Dental Diagnostic X-Ray Equipment |
Other |
94 |
94 |
RH |
RZZ |
234 |
X-Ray Film and Film Processing Materials |
Other * |
94 |
94 |
RH |
RZZ |
* Product is not a certifiable diagnostic x-ray component. Manufacturers of only * components are not inspected under this program. Manufacturers of * components may be inspected if they manufacture certifiable components.
Updated May 15, 2008
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