99-21508. General and Plastic Surgery Devices; Effective Date of Requirement for Premarket Approval of the Silicone Inflatable Breast Prosthesis  

  • [Federal Register Volume 64, Number 160 (Thursday, August 19, 1999)]
    [Rules and Regulations]
    [Pages 45155-45161]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 99-21508]
    
    
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    DEPARTMENT OF HEALTH AND HUMAN SERVICES
    
    Food and Drug Administration
    
    21 CFR Part 878
    
    [Docket No. 91N-0281]
     RIN 0910-AZ17
    
    
    General and Plastic Surgery Devices; Effective Date of 
    Requirement for Premarket Approval of the Silicone Inflatable Breast 
    Prosthesis
    
    AGENCY: Food and Drug Administration, HHS.
    
    [[Page 45156]]
    
    ACTION: Final rule.
    
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    SUMMARY: The Food and Drug Administration (FDA) is issuing a final rule 
    to require the filing of a premarket approval application (PMA) or a 
    notice of completion of a product development protocol (PDP) for the 
    silicone inflatable breast prosthesis, a generic type of medical device 
    intended to augment or reconstruct the female breast. This device is 
    made of a silicone shell that is inflated with sterile isotonic saline. 
    Commercial distribution of this device must cease unless a manufacturer 
    or importer has filed with FDA a PMA or PDP for its version of the 
    silicone inflatable breast prosthesis within 90 days of the effective 
    date of this regulation. This regulation reflects FDA's exercise of its 
    discretion to require PMA's or PDP's for preamendments devices and is 
    consistent with FDA's stated priorities and Congress' requirement that 
    class III devices are to be regulated by FDA's premarket review. This 
    action is being taken under the Federal Food, Drug, and Cosmetic Act 
    (the act), as amended by the Medical Device Amendments of 1976 (the 
    amendments), the Safe Medical Devices Act of 1990, and the Food and 
    Drug Administration Modernization Act of 1997.
    
    EFFECTIVE DATE: August 18, 1999.
    FOR FURTHER INFORMATION CONTACT: Stephen P. Rhodes, Center for Devices 
    and Radiological Health (HFZ-410), Food and Drug Administration, 9200 
    Corporate Blvd., Rockville, MD 20850, 301-594-3090.
    
    SUPPLEMENTARY INFORMATION:
    
    I. Introduction
    
        In the Federal Register of June 24, 1988 (53 FR 23856), FDA 
    published a final rule classifying into class III (premarket approval) 
    the silicone inflatable breast prosthesis, a medical device. Section 
    878.3530 (21 CFR 878.3530) of FDA's regulations setting forth the 
    classification of the silicone inflatable breast prosthesis applies to: 
    (1) Any silicone inflatable breast prosthesis that was in commercial 
    distribution before May 28, 1976, and (2) any device that FDA has found 
    to be substantially equivalent to a silicone inflatable breast 
    prosthesis in commercial distribution before May 28, 1976.
        In an advanced notice of proposed rulemaking published in the 
    Federal Register of January 6, 1989 (54 FR 550), the agency identified 
    the silicone inflatable breast prosthesis as one of the high-priority 
    devices that would be subject to PMA or PDP requirements. FDA issued a 
    notice in the Federal Register of September 26, 1991 (56 FR 49098), 
    requiring manufacturers to disseminate information on risks associated 
    with the silicone gel-filled breast prosthesis and the silicone 
    inflatable breast prosthesis. FDA stated that either type of breast 
    prosthesis would be misbranded under the act if its labeling did not 
    provide adequate information for patients.
        In the Federal Register of January 8, 1993 (58 FR 3436), FDA 
    published a proposed rule, under section 515(b) of the act (21 U.S.C. 
    360e(b)), to require the filing of PMA's or PDP's for the classified 
    silicone inflatable breast prosthesis and all substantially equivalent 
    devices. In accordance with section 515(b)(2)(A) of the act, FDA 
    included in the preamble, the agency's proposed findings regarding: (1) 
    The degree of risk of illness or injury designed to be eliminated or 
    reduced by requiring the device to meet the premarket approval 
    requirements of the act, and (2) the benefits to the public from use of 
    the device.
        The preamble also provided an opportunity for interested persons to 
    submit comments on the proposed rule and the agency's proposed 
    findings. Under section 515(b)(2)(B) of the act, it also provided an 
    opportunity for interested persons to request a change in the 
    classification of the device based on new information relevant to its 
    classification. Any petition requesting a change in the classification 
    of the silicone inflatable breast prosthesis was required to be 
    submitted by January 25, 1993. The comment period initially closed on 
    March 6, 1993. In the Federal Register of March 10, 1993 (58 FR 13230), 
    FDA extended the comment period for 30 days to April 8, 1993, to ensure 
    that there was adequate time for preparation and submission of comments 
    on the proposed rule.
        The agency received 134 comments in response to the January 8, 
    1993, proposed rule. These comments were from individuals, 
    manufacturers, professional societies, and consumer and health groups. 
    Most of the comments supported the proposed rule.
        In the Federal Register of June 28, 1995 (60 FR 33608), FDA issued 
    a notice announcing the availability of an updated patient risk 
    information booklet, entitled ``Information for Women Considering 
    Saline-filled Breast Implants.'' The information booklet provided 
    prospective patients with information about possible risks involved 
    with silicone inflatable breast prostheses. FDA gave the updated 
    information booklet to the manufacturers of saline-filled breast 
    implants (silicone inflatable breast prostheses) to include with their 
    labeling. FDA intended that physicians who perform breast implant 
    surgery give this information to their patients as they considered 
    implantation of a silicone inflatable breast prosthesis.
        FDA is aware that new information on the device has become 
    available since the proposed rule was published in January 1993. On 
    June 2, 1999, the Institute of Medicine (IOM) released a comprehensive 
    review of the published literature and ongoing studies on both saline-
    filled and silicone gel-filled breast implants entitled ``Safety of 
    Silicone Breast Implants.'' Both of these types of implants have a 
    silicone elastomer shell. The IOM made a clear distinction between 
    local complications and systemic health concerns. The IOM determined 
    that there was insufficient evidence to establish that breast implants 
    cause systemic health effects such as autoimmune disease. The IOM 
    concluded that there is ``no definitive evidence linking breast 
    implants to cancer, immunological diseases, neurological problems, or 
    other systemic diseases. On the basis of our committee's review of the 
    data, we concluded that women with breast implants are no more likely 
    than other women to develop these systemic illnesses.'' However, the 
    IOM also concluded that local complications are ``the primary safety 
    issue with silicone breast implants.'' These local complications 
    include rupture, pain, capsular contracture, disfigurement, and serious 
    infection, which may lead to medical interventions and repeat 
    surgeries. The agency believes that local complications should be 
    addressed in a PMA or PDP submission. Therefore, while it is possible 
    that the level of risk presented by the device may differ somewhat from 
    that described in the proposal, FDA nevertheless believes that the 
    risks to health identified in the proposed rule still exist for the 
    device and consequently, should be addressed in PMA's or PDP's for the 
    device.
        This regulation is final upon publication and requires PMA's or 
    notices of completion of a PDP for all silicone inflatable breast 
    prostheses classified under Sec. 878.3530 and all devices that are 
    substantially equivalent to them. PMA's or notices of completion of a 
    PDP for these devices must be filed with FDA within 90 days of the 
    effective date of this regulation. (See section 501(f)(1)(A) of the act 
    (21 U.S.C. 351(f)(1)(A)).) This regulation does not include the 
    silicone gel-filled breast prosthesis (21 CFR 878.3540).
    
    [[Page 45157]]
    
    II. Summary and Analysis of Comments and FDA's Response
    
    A. General Comments
    
        1. FDA received comments from 116 women consumers and six health 
    professionals supporting the proposed call for PMA's or PDP's. Sixty-
    four of the women consumers were reconstruction or augmentation 
    patients who were dissatisfied with their implants. These women 
    believed that their breast implants have caused them adverse health 
    effects. Fourteen of these breast implant recipients provided medical 
    histories and patient records to support their belief that their 
    illnesses are associated with their breast implants. Seven other 
    comments also expressed the belief that breast prostheses cause adverse 
    health effects. The other 43 women did not indicate whether or not they 
    had been implanted with breast implants. Nineteen of these 43 comments 
    recommended that silicone inflatable breast prostheses be recalled and 
    banned until long-term safety and effectiveness studies are completed. 
    Some comments recommended that silicone gel-filled breast prostheses be 
    recalled and banned. Thirty-one women expressed strong opinions that 
    the risks associated with all breast implants are unacceptable.
        FDA does not believe that the available evidence supports a 
    conclusion that either banning or recalling the device would be 
    appropriate. Rather, FDA believes that requiring the submission of 
    PMA's or PDP's for the silicone inflatable breast prosthesis will 
    provide FDA an opportunity to assess more fully the risks and benefits 
    of these devices in order to determine whether there is reasonable 
    assurance of their safety and effectiveness, or absent such an 
    assurance what regulatory course should be taken.
        The comments addressing the silicone gel-filled breast implant are 
    not within the scope of this rule. In the Federal Register of April 10, 
    1991 (56 FR 14620), FDA issued a final rule requiring the submission of 
    PMA's or PDP's for the silicone gel-filled breast prosthesis.
        2. One comment stated that PMA's or PDP's are not necessary for 
    this device because adequate studies on silicone toxicity already exist 
    establishing the safety and effectiveness of the silicone inflatable 
    breast prosthesis. This comment stated that the extensive published 
    research has not found any causal relationship between silicone-
    containing breast prostheses and the adverse events observed in some 
    women with these devices. Other comments stated that existing 
    information on the silicone gel-filled breast prosthesis and on other 
    types of silicone-containing prostheses in use (the chin prosthesis (21 
    CFR 878.3550); the ear prosthesis (21 CFR 878.3590), and the finger 
    joint prosthesis (21 CFR 888.3230)) provide adequate information to 
    support the safety and effectiveness of the silicone inflatable breast 
    prosthesis.
        FDA is aware of the existence of information on silicone and 
    silicone-containing prostheses and expects that applicants may include 
    such information in their submissions to establish the safety and 
    effectiveness of the silicone inflatable breast prosthesis. FDA will 
    consider all information contained in PMA's or PDP's in determining 
    whether there is reasonable assurance of the safety and effectiveness 
    of these devices.
        3. Four comments suggested that additional guidance on the data 
    requirements for PMA's be made available before publishing the final 
    rule. One of these comments also requested an open dialogue between 
    FDA, the industry, and the scientific and medical communities to 
    develop a consensus on the preclinical and clinical data necessary to 
    establish the safety and effectiveness of the device, and reissuance of 
    the proposed rule with a longer timeframe.
        The 1993 proposed rule provided guidance on the appropriate data to 
    be included in the PMA for the silicone inflatable breast prosthesis. 
    Although section 515(b) of the act does not require the agency to 
    provide specific guidance on the contents of specific PMA's, FDA has 
    issued a ``Draft Guidance for the Preparation of PMA Application for 
    Silicone Inflatable (Saline) Breast Prostheses'' in November 1994 and a 
    revised draft guidance in January 1995 (the 1995 guidance document). 
    The 1995 guidance document is available from the internet at 
    ``www.fda.gov/cdrh/ode/odegr532.html''. In order to receive the ``Draft 
    Guidance for Silicone Inflatable (Saline) Breast Prostheses'' via your 
    fax machine, call CDRH Facts-On-Demand (FOD) system at 800-899-0381 or 
    301-827-0111 from a touch-tone telephone. At the first voice prompt 
    press 1 to access DSMA Facts, at the second voice prompt press 2, and 
    then enter the document number (223) followed by the pound sign (#). 
    Follow the remaining voice prompts to complete you request.
        In June 1996, FDA sent known manufacturers of the silicone 
    inflatable breast prosthesis a letter describing the recommended data 
    for a PMA. The period of time between the classification of the device 
    in 1988 and the date by which PMA's must be filed is more than 10 
    years. Thus, FDA believes that sufficient time and guidance has been 
    provided to allow sponsors to develop the data for a PMA submission. 
    FDA agrees that dialogue with industry and with the scientific and 
    medical community is important; FDA staff have been and continue to be 
    accessible to discuss PMA and PDP content information with industry and 
    the scientific and medical community.
        4. Two comments suggested that postapproval studies could be used 
    to support approval of the silicone inflatable breast prosthesis, and 
    another comment suggested the use of FDA's postmarket surveillance 
    authority.
        FDA notes that, by definition, postapproval studies are studies 
    performed after the approval of a PMA and that postmarket surveillance 
    studies are studies used to acquire additional performance information 
    about a device already determined to be reasonably safe and effective. 
    In the 1993 proposed rule, FDA stated that postapproval studies would 
    be required to fully assess the potential carcinogenicity and 
    teratogenicity of any approved silicone inflatable breast prostheses. 
    In the 1995 guidance document, FDA restated this need for postapproval 
    studies and added that postapproval studies would also be needed to 
    assess the potential for causing adverse immunological effects and/or 
    connective tissue disorders.
        5. One comment objected that Congress never intended ``old'' 
    preamendments medical devices to undergo the same scrutiny as ``new'' 
    postamendments medical devices.
        FDA does not believe that Congress intended to differentiate 
    between ``old'' preamendments devices and ``new'' postamendments 
    devices with respect to the requirement that valid scientific evidence 
    is needed to support PMA approval. Neither section 513(a)(3) (21 U.S.C. 
    360c(a)(3)) nor section 515(d) of the act makes any distinction between 
    ``old'' and ``new'' devices with regard to any aspect of the 
    requirement for PMA approval. Evidence that constitutes valid 
    scientific evidence within the meaning of Sec. 860.7(c)(2) (21 CFR 
    860.7(c)(2)) may be submitted in support of a PMA or PDP, but it will 
    remain the agency's judgment whether the submitted evidence provides 
    reasonable assurance of safety and effectiveness.
        6. Six comments stated that tissue expanders should be not be 
    included in the call for PMA's or PDP's. Five comments said that tissue 
    expanders intended for short-term use are unclassified devices. One 
    comment
    
    [[Page 45158]]
    
    suggested that the tissue expander intended for short-term use should 
    be classified into class II and that the tissue expander intended for 
    long-term use should be classified into class III.
        Saline-filled silicone tissue expanders are used for general 
    surgical procedures, as well as for breast implantation surgery. FDA 
    agrees that tissue expanders intended for short-term use or for general 
    surgical purposes are unclassified devices and are not covered in this 
    final rule. FDA plans to initiate classification procedures for that 
    device at a future date. However, saline inflatable tissue expanders 
    that meet the definition of a silicone inflatable breast prosthesis are 
    included in this final rule.
        7. One comment said the risk section should be rewritten because it 
    reflects an agency bias against the silicone inflatable breast 
    prosthesis, in that it equates the risks associated with the silicone 
    inflatable breast prosthesis with those of the silicone gel-filled 
    breast prosthesis.
        FDA disagrees. The preamble to the proposed rule clearly states 
    that much of the literature cited in the risk section of the proposed 
    rule referred specifically to the silicone inflatable breast 
    prosthesis. The agency cited information about other silicone devices 
    only where there was no documentation specific to the silicone 
    inflatable breast prosthesis. Comparison of risk information between 
    devices should not be confused with an equation of risk.
    
    B. Fibrous Capsular Contraction
    
        8. There were six comments on the risk of fibrous capsular 
    contracture. These comments indicated that fibrous capsule formation 
    occurs around any implanted device and that this is part of the healing 
    process. They stated that, although this risk to health is a frequent 
    outcome, it is not life-threatening, and should be considered a 
    relatively minor risk to health.
        FDA agrees that fibrous capsular contracture is usually not life-
    threatening and that normal fibrous capsule formation is part of the 
    wound healing process after the implantation of any prosthesis. Fibrous 
    capsular contracture, however, is associated with clinical changes 
    ranging from a nearly imperceptible deformation of the implant to 
    marked distortion and firmness, often accompanied by tenderness, pain, 
    and discomfort. Significant fibrous capsular contracture, Baker grades 
    3 and 4, may require surgical removal of the device, making contracture 
    a serious risk to health. As stated in the 1995 guidance document, FDA 
    is requesting time-course data on the rate and frequency of fibrous 
    capsular contracture.
    
    C. Deflation
    
        9. There were seven comments on the risk of deflation. Two comments 
    said that deflation is not life-threatening, two characterized 
    deflation as being of low or no risk, and three said it is infrequent.
        FDA agrees that this risk to health is not life-threatening. 
    However, deflation of the silicone inflatable breast prosthesis 
    eliminates the benefit of the device. In addition, the recipient may 
    then elect to have her implant surgically explanted and have a second 
    breast prosthesis implanted. This additional surgery makes deflation a 
    potentially serious adverse event. As noted in the 1995 guidance 
    document, FDA requested information to address the incidence of 
    deflation and rupture for this device.
    
    D. Infection
    
        10. Four comments stated that the incidence of infection associated 
    with the implantation of silicone inflatable breast prostheses is not 
    any higher than it is for other implantation surgeries. One comment 
    said that FDA needs an accurate determination of the incidence of 
    infection in women implanted with silicone inflatable breast 
    prostheses.
        FDA believes that it is important for studies submitted in a PMA or 
    PDP to provide accurate information on the incidence of infection 
    associated with the implantation of the silicone inflatable breast 
    prosthesis.
    
    E. Interference With Early Tumor Detection
    
        11. Several comments stated that mammography may be more difficult 
    to perform and that it may be less effective for the early detection of 
    tumors in women with breast implants. Two other comments disagreed, 
    stating that there are no data showing that the presence of breast 
    implants has hindered or delayed the detection of breast tumors. The 
    same comments stated that implantation of the device under the 
    pectoralis muscles may reduce the interference with mammography, that 
    interference can be overcome with special detection procedures, and 
    that cancer detection does not rely solely on mammography.
        FDA agrees that the presence of a silicone inflatable breast 
    prosthesis may interfere with the standard mammography procedures used 
    to screen patients for breast cancer. The device may produce a shadow 
    on the radiograph that obscures visualization of a significant portion 
    of the breast. In addition, the prosthesis compresses overlying breast 
    tissue, reducing contrast and making mammographic assessment more 
    difficult. Mammography of the augmented or reconstructed breast 
    requires special techniques, which may result in increased exposure to 
    radiation. Even under the best of circumstances, silicone inflatable 
    breast prostheses are likely to limit the effectiveness of this 
    examination for breast cancer detection. As stated in the 1995 guidance 
    document, FDA is requesting information on the potential interference 
    of the silicone inflatable breast prosthesis on the ability of 
    mammography to detect tumors in breast tissue.
    
    F. Human Carcinogenicity
    
        12. Nine comments said that there is no established correlation 
    between cancer and women with a silicone inflatable breast prosthesis. 
    They stated that silicone causes solid state tumors in rodents, a 
    phenomenon thought to be restricted to rodents and not applicable to 
    humans. They also stated that epidemiological studies have not found 
    that women with breast implants are at an increased risk for cancer.
        FDA believes that the potential carcinogenicity for this device 
    remains unknown. The agency continues to believe that carcinogenicity 
    is a potential risk that must be assessed in a PMA or PDP.
    
    G. Human Teratogenicity
    
        13. There were five comments related to human teratogenicity. Three 
    comments stated that there is no evidence that the silicone inflatable 
    breast prosthesis is teratogenic. Two comments stated that 
    teratogenicity is a remote risk, which could be addressed in 
    postapproval studies. One comment stated that seven studies published 
    between 1975 and 1993 (including the literature FDA cited in the 
    proposed rule), in conjunction with the absence of reports of defects 
    among children born to women who have undergone mammary augmentation/
    reconstruction with silicone implants, indicates that teratogenicity is 
    not an identified or a potential risk to health.
        FDA agrees that there are no published studies showing that 
    silicone inflatable prostheses are associated with toxic reproductive 
    effects or teratogenic effects. However, FDA believes that 
    teratogenicity and/or reproductive effects of silicone elastomers 
    remain potential risks that should be assessed in a PMA or PDP. This 
    information was requested in the proposed rule and in the 1995 guidance 
    document.
    
    [[Page 45159]]
    
    H. Adverse Immunological Effects and/or Connective Tissue Disorders
    
        14. Five comments stated that no definitive link between silicone 
    and autoimmune diseases has been established. These comments stated 
    that the incidence of these diseases in women with breast implants is 
    no higher than it is in women without breast implants. Two of these 
    comments suggested that some women may be more genetically susceptible 
    to the immunological effects than others. As stated previously, 71 
    consumer comments expressed the belief that breast implants cause 
    unacceptable adverse health effects. One physician reported that his 
    patients with breast prostheses had a higher than expected prevalence 
    of positive antinuclear antibody (ANA) test results. Because there was 
    no difference in the ANA test results between patients with gel-filled 
    and saline-filled breast prostheses, this comment attributed the 
    positive ANA results for both patient populations to the silicone shell 
    of the prostheses.
        FDA agrees that no definitive causal relationship has been 
    established between immunological effects and/or connective tissue 
    disorders and the silicone inflatable breast prosthesis. FDA is aware 
    of the concerns expressed in the consumer comments. FDA also recognizes 
    that a positive ANA test without clinical symptoms is a nonspecific 
    finding. In the 1995 guidance document, FDA recommended that recipients 
    of silicone inflatable breast prostheses be regularly monitored for the 
    occurrence of such adverse events for a minimum of 10 years 
    postimplantation. FDA continues to believe that adverse immunological 
    effects and/or connective tissue disorders remain potential risks that 
    must be assessed in a PMA or PDP, but FDA does not believe that 10 
    years of prospective data collection on a specific product will be 
    necessary to do so.
    
    I. Calcification
    
        15. Several comments stated that calcification is not life-
    threatening and is of unknown clinical significance. Other comments 
    suggest that calcification: (1) May occur in as many as 25 percent of 
    breast implant patients; (2) is rare; (3) is closely associated with 
    capsular contracture; (4) may complicate the interpretation of 
    mammograms; and (5) may cause abrasions of the silicone shell of the 
    device if the calcium salt crystals have sharp edges, making the 
    implant more susceptible to rupture.
        FDA believes that there is not much information on the incidence 
    and effects of calcification in women implanted with silicone 
    inflatable breast prostheses. FDA believes that calcification remains 
    an uncharacterized potential risk to health. Consequently, as stated in 
    the proposed rule, FDA believes that PMA's or PDP's for this device 
    should include time-course information on the incidence of 
    calcification.
    
    J. Biological Effects of Silica
    
        16. Several comments stated that fumed amorphous silica is so 
    tightly bound in the silicone elastomer shell of the silicone 
    inflatable breast prosthesis that the fumed amorphous silica is 
    biologically inactive. For that reason, these comments believed that 
    the presence of fumed amorphous silica is not a risk to health of the 
    silicone inflatable breast prosthesis.
        FDA does not believe there is sufficient information to eliminate 
    fumed amorphous silica as a potential risk to health associated with 
    the silicone inflatable breast prosthesis, particularly since the 
    amount of fumed amorphous silica is varied in order to achieve the 
    desired physical characteristics of the shell. Consequently, the agency 
    believes that this potential risk to health should be addressed in a 
    PMA or PDP.
    
    K. Interference With Breast Feeding
    
        17. Several comments stated that the presence of the silicone 
    inflatable breast prosthesis could potentially interfere with the 
    breast feeding of infants. The comments objected that claims that 
    breast implants have no effect on the nursing of infants are 
    unsubstantiated.
        FDA agrees that interference with breast feeding of infants is a 
    potential risk to health presented by this device because the implants 
    may reduce the ability of breast feeding women to deliver an adequate 
    quantity of milk. Although most augmentation patients are of 
    childbearing age, there are no data on this potential risk. FDA 
    believes that PMA's or PDP's for the silicone inflatable breast 
    prosthesis should contain information on the effect of the device on 
    the breast feeding of infants.
    
    L. Benefits of the Device
    
        18. One comment stated that a positive psychological benefit for 
    the silicone inflatable breast prosthesis should be assumed. Other 
    comments maintained that the published studies have already established 
    that breast prostheses provide a positive psychological benefit.
        The agency believes that the potential psychological benefits 
    offered by the device are an important part of the device's efficacy. 
    Consequently, FDA believes the psychological benefit of the silicone 
    inflatable breast prosthesis should be demonstrated in clinical trials 
    and reported in a PMA or PDP application.
        19. Seven comments stated that the determination of psychological 
    benefit is problematic for several reasons: (1) There are no validated 
    standardized psychological tests for measuring psychological benefit; 
    (2) existing tests for psychological well-being and self-esteem are 
    confounded by multiple life variables, including the patient's general 
    health, sexual functioning, and understanding of the potential 
    complications when making the decision to have a silicone inflatable 
    breast prosthesis implanted; and (3) there is a lack of suitable 
    controls for both reconstruction and augmentation patients. One comment 
    suggested that benefit be assessed with ``quality of life'' 
    questionnaires, using patients as their own controls and assessing a 
    wide range of variables. Another comment stated that it would be 
    ``unduly burdensome and needlessly distressful'' to subject women 
    requesting breast implants to psychological assessment testing.
        Among the seven comments there was general agreement that patients 
    should be followed for a long period of time after the surgery, perhaps 
    even 10 to 15 years. This is complicated because, during this period, 
    other issues related to self-esteem and a feeling of well-being may 
    confound the determination of psychological benefit. Some comments 
    stated that the assessment of psychological benefit should be different 
    for reconstruction and augmentation patients.
        FDA agrees that designing studies to assess the psychological 
    benefit of implantation with a silicone inflatable breast prosthesis 
    may be difficult. In the 1995 guidance document, FDA suggested that the 
    effectiveness of the device can be measured by assessing: (1) The 
    degree of maintenance (if applicable) or of enhancement of a woman's 
    psychological well-being postimplantation, and (2) the anatomical 
    effect provided by the device. FDA added that both assessments should 
    be balanced against any illness or injury associated with the use of 
    the device. FDA further stated that the level of benefit derived from 
    the device may depend on whether the device is used for augmentation 
    mammoplasty, correction of congenital or traumatic breast anomalies, or 
    reconstruction mammoplasty after tumor removal, and recommended that 
    benefit data be stratified by these categories of use. The agency will 
    accept
    
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    a variety of types of scientific evidence in support of a PMA or PDP, 
    as long as the data constitute valid scientific evidence within the 
    meaning of Sec. 860.7(c)(2).
    
    M. Need for Risk Benefit Information
    
        20. Three comments agreed that risk/benefit data should be 
    collected, but questioned the need to include such data in a PMA.
        FDA believes that it is appropriate for PMA's or PDP's to contain 
    risk/benefit data to enable the agency to determine whether there is 
    reasonable assurance of the safety and effectiveness of the silicone 
    inflatable breast prosthesis.
    
    N. PMA Contents
    
        21.  FDA received two extensive comments on the types of 
    manufacturing information, preclinical testing, and clinical data that 
    should be required in a PMA for a silicone inflatable breast 
    prosthesis, as well as several general comments on the appropriate 
    contents of a PMA.
        FDA believes that the points raised in these comments are addressed 
    in great detail in the 1995 draft guidance. The guidance addresses all 
    types of data, including manufacturing, preclinical, and clinical, 
    expected to be submitted. Additionally, manufacturers already have 
    begun submitting manufacturing and preclinical data to the agency in 
    preparation for the call for PMA's or PDP's.
    
    III. Findings With Respect to Risks and Benefits
    
    A. Degree of Risk
    
    1. Fibrous Capsular Contracture
        Contracture, the formation of a constricting fibrous layer around 
    the silicone inflatable breast prosthesis, is a risk associated with 
    both augmentation and reconstruction mammoplasty. Contracture may 
    result in excessive breast firmness, discomfort, pain, disfigurement, 
    displacement of the implant, and psychological trauma. Procedures, 
    including corrective surgery or surgical removal of the device and 
    adjacent tissue, may be required to relieve the symptoms associated 
    with contracture. The effects of contracture can vary from a reduced 
    satisfaction with the device to causing a woman to seek explantation of 
    the device. Although severe cases are rare, less severe contracture is 
    the most common adverse event associated with the silicone inflatable 
    breast prosthesis.
    2. Deflation
        The deflation of a silicone inflatable breast prosthesis is the 
    loss of saline volume from the device as a result of rupture, valve 
    failure, or a defect in the device. Deflation is not life-threatening, 
    but the loss of saline destroys the shape of the implant, and surgery 
    may be required to remove and replace it. Because of the need for an 
    additional surgery, deflation is a serious adverse event. Deflation 
    incidence data, as a function of time after implantation, are not 
    currently available.
    3. Infection
        Infection is a risk associated with any surgical implant procedure, 
    including implantation of the silicone inflatable breast prosthesis. 
    Compromised device sterility and surgical techniques may be major 
    contributing factors to this risk. Skin and bacteremic flora may also 
    have a role in infection in the periprosthetic area. Infection may 
    increase fibrous capsular contracture and result in a need for removal 
    of the device.
    4. Interference With Early Tumor Detection
        The presence of a silicone inflatable breast prosthesis may 
    interfere with standard mammography procedures by producing a shadow 
    that obscures visualization, or by reducing contrast by compressing 
    overlying breast tissue. Mammography of the augmented breast requires 
    special techniques and skills and may result in increased exposure to 
    radiation.
    5. Human Carcinogenicity
        The potential for developing cancer as a result of the long-term 
    implantation of silicone inflatable breast prostheses cannot be 
    eliminated as a potential risk associated with the silicone inflatable 
    breast prosthesis.
    6. Human Teratogenicity
        Although FDA is not aware of data indicating that the silicone 
    inflatable breast prosthesis is associated with teratogenic and 
    reproductive effects, the potential for teratogenicity and other 
    reproductive adverse effects as a result of long-term implantation of 
    the device cannot be eliminated as a possible risk to health. 
    Reproductive effects are particularly important because many 
    augmentation patients are of childbearing age.
    7. Adverse Immunological Effects and/or Connective Tissue Disorders
        The potential for developing immunological effects and/or 
    connective tissue disorders as a result of long-term exposure to the 
    silicone inflatable breast prosthesis remains uncertain. Since the 
    publication of the proposed rule 5 years ago, new epidemiological data 
    (Refs. 1 and 2) addressing the relationship between the device and 
    autoimmune diseases or connective tissue diseases indicate that 
    silicone breast prostheses have not caused a large increase in the 
    incidence of connective tissue disease in women with breast implants. 
    However, the possibility of a smaller increased risk of immunological 
    effects, or of an atypical, as yet undefined, syndrome or disease, 
    cannot be eliminated based on these data.
    8. Calcification
        Calcification of the fibrous capsule surrounding the silicone 
    inflatable breast prosthesis involves the deposition of mineral salts 
    in the capsule. Neither the incidence nor the risk to health of 
    calcification are established.
    9. Biological Effects of Silica
        Amorphous fumed silica is bound to the silicone in the elastomeric 
    shell of the silicone inflatable breast prosthesis. Silica presents a 
    potential risk which should be addressed in a PMA or PDP.
    
    B. Benefits of the Device
    
        The silicone inflatable breast prosthesis is intended to 
    reconstruct or augment the female breast. Reconstruction or 
    augmentation surgery is elective in nature, although implantation of a 
    silicone inflatable breast prosthesis is often an integral part of the 
    reconstructive patient's total treatment.
        Although a definitive psychological study to assess the benefits of 
    the silicone inflatable breast prosthesis may be difficult to conduct, 
    FDA believes data are needed to document whether the device is 
    effective for its intended use.
    
    IV. Final Rule
    
        Under section 515(b)(3) of the act, FDA is adopting the findings as 
    published in the preamble to the proposed rule and is issuing this 
    final rule to require premarket approval of the generic type of device, 
    the silicone inflatable breast prosthesis, by revising 
    Sec. 878.3530(c).
        Under the final rule, a PMA or a notice of completion of a PDP is 
    required to be filed on or before November 17, 1999, for any silicone 
    inflatable breast prosthesis that was in commercial distribution before 
    May 28, 1976, or that has been found by FDA to be substantially 
    equivalent to such a device on or before November 17, 1999. An approved 
    PMA or a declared completed PDP is required to be in effect for any 
    such device on or before 180 days after FDA files the application.
    
    [[Page 45161]]
    
     Any other silicone inflatable breast prosthesis that was not in 
    commercial distribution before May 28, 1976, or that has not been found 
    by FDA to be substantially equivalent to such a device on or before 
    November 17, 1999, is required to have an approved PMA or a declared 
    completed PDP in effect before it may be marketed.
        If a PMA or a notice of completion of a PDP for a silicone 
    inflatable breast prosthesis is not filed on or before the 90th day 
    past the effective date of this regulation, that device will be deemed 
    adulterated under section 501(f)(1)(A) of the act , and commercial 
    distribution of the device will be required to cease immediately. The 
    device may, however, be distributed for investigational use, if the 
    requirements of the investigational device exemption (IDE) regulations 
    (part 812) (21 CFR part 812) are met.
        Under Sec. 812.2(d) of the IDE regulations, FDA hereby stipulates 
    that, on the effective date of this rule, the exemptions from the IDE 
    requirements in Sec. 812.2(c)(1) and (c)(2) will no longer apply to 
    clinical investigations of the silicone inflatable breast prosthesis. 
    Further, FDA concludes that investigational silicone inflatable breast 
    prostheses are significant risk devices as defined in Sec. 812.3(m) and 
    advises that, as of the effective date of this rule, the requirements 
    of the IDE regulations regarding significant risk devices will apply to 
    any clinical investigation of a silicone inflatable breast prosthesis. 
    For any silicone inflatable breast prosthesis that is not the subject 
    of a timely filed PMA or PDP, an IDE must be in effect under 
    Sec. 812.20 on or before 90 days after the effective date of this 
    regulation or distribution of the device must cease. FDA advises all 
    persons presently sponsoring a clinical investigation involving the 
    silicone inflatable breast prosthesis to submit an IDE application to 
    FDA no later than 60 days after the effective date of this final rule 
    to avoid the interruption of ongoing investigations.
    
    V.  Environmental Impact
    
        The agency has determined under 21 CFR 25.30(h) that this action is 
    of a type that does not individually or cumulatively have a significant 
    effect on the human environment. Therefore, neither an environmental 
    assessment nor an environmental impact statement is required.
    
    VI. Analysis of Impacts
    
        FDA has examined the impacts of the final rule under Executive 
    Order 12866 and the Regulatory Flexibility Act (5 U.S.C. 601-612), as 
    amended by subtitle D of the Small Business Regulatory Enforcement 
    Fairness Act of 1996 (Public Law 104-121), and the Unfunded Mandates 
    Reform Act of 1995 (Public Law 104-4). Executive Order 12866 directs 
    agencies to assess all costs and benefits of available regulatory 
    alternatives and, when regulation is necessary, to select regulatory 
    approaches that maximize net benefits (including potential economic, 
    environmental, public health and safety, and other advantages; 
    distributive impacts; and equity). The agency believes that this final 
    rule is consistent with the regulatory philosophy and principles 
    identified in the Executive Order. The Office of Management and Budget 
    (OMB) has determined that this final rule is a significant regulatory 
    action subject to review under the Executive Order.
        If a rule has a significant economic impact on a substantial number 
    of small entities, the Regulatory Flexibility Act requires agencies to 
    analyze regulatory options that would minimize any significant impact 
    of a rule on small entities. FDA expects that up to seven manufacturers 
    will submit a PMA or PDP for the silicone inflatable breast prosthesis. 
    FDA estimates that it costs up to $1 million to submit a PMA or PDP. As 
    noted previously, the silicone inflatable breast prosthesis was 
    classified into class III on June 24, 1988, and FDA published a 
    proposed rule to require a PMA or PDP for this device on January 8, 
    1993. Thus, manufacturers have long been aware of the need to develop 
    information in support of a PMA or a PDP. Moreover, since the 
    publication of the proposed rule, FDA has been working closely with 
    manufacturers to assist them in preparing for the submission of a PMA 
    or a PDP. FDA, therefore, believes that this final rule will not be an 
    undue burden on these manufacturers. The agency therefore certifies 
    that the final rule will not have a significant economic impact on a 
    substantial number of small entities. Therefore, under the Regulatory 
    Flexibility Act, no further analysis is required.
    
    VII. Paperwork Reduction Act of 1995
    
        This proposed rule contains information collection provisions that 
    are subject to review by OMB under the Paperwork Reduction Act of 1995 
    (44 U.S.C. 3501-3530). The burden hours required for Sec. 878.3530(c) 
    are reported and approved under OMB Control No. 0910-0231.
    
    VIII. References
    
        The following references have been placed on display in the Dockets 
    Management Branch (HFA-305), Food and Drug Administration, 5630 Fishers 
    Lane, rm. 1061, Rockville, MD 20852. These references may be seen in 
    the office above between 9 a.m. and 4 p.m., Monday through Friday.
        1. Hennekens, C. H., I. Lee, N. Cook, P. R. Hebert, E. W. 
    Karlson, F. LaMotte, J. E. Manson, and J. E. Buring, ``Self-reported 
    Breast Implants and Connective-Tissue Diseases in Female Health 
    Professionals,'' Journal of the American Medical Association, 
    275:616-621, 1996.
        2. Silverman, B. G., S. L. Brown, R. A. Bright, R. G. Kaczmarek, 
    J. B. Arrowsmith-Lowe, and D. A. Kessler, ``Reported Complications 
    of Silicone Gel Breast Implants: An Epidemiologic Review,'' Annals 
    of Internal Medicine, 124:744-756, 1996.
        3. Institute of Medicine, ``Safety of Silicone Breast 
    Implants,'' National Academy Press, Washington, DC, 1999.
    
    List of Subjects in 21 CFR Part 878
    
        Medical devices.
        Therefore, under the Federal Food, Drug, and Cosmetic Act and under 
    authority delegated to the Commissioner of Food and Drugs, 21 CFR part 
    878 is amended as follows:
    
    PART 878--GENERAL AND PLASTIC SURGERY DEVICES
    
        1. The authority citation for 21 CFR part 878 continues to read as 
    follows:
    
        Authority: 21 U.S.C. 351, 360, 360c, 360e, 360j, 360l, 371.
    
        2. Section 878.3530 is amended by revising paragraph (c) to read as 
    follows:
    
    
    Sec. 878.3530  Silicone inflatable breast prosthesis.
    
    * * * * *
        (c) Date PMA or notice of completion of a PDP is required. A PMA or 
    a notice of completion of a PDP is required to be filed with the Food 
    and Drug Administration on or before November 17, 1999, for any 
    silicone inflatable breast prosthesis that was in commercial 
    distribution before May 28, 1976, or that has, on or before November 
    17, 1999, been found to be substantially equivalent to a silicone 
    inflatable breast prosthesis that was in commercial distribution before 
    May 28, 1976. Any other silicone inflatable breast prosthesis shall 
    have an approved PMA or a declared completed PDP in effect before being 
    placed in commercial distribution.
    
        Dated: March 29, 1999.
     William K. Hubbard,
     Senior Associate Commissioner for Policy, Planning and Legislation.
    [FR Doc. 99-21508 Filed 8-18-99; 8:45 am]
    BILLING CODE 4160-01-F
    
    
    

Document Information

Effective Date:
8/18/1999
Published:
08/19/1999
Department:
Food and Drug Administration
Entry Type:
Rule
Action:
Final rule.
Document Number:
99-21508
Dates:
August 18, 1999.
Pages:
45155-45161 (7 pages)
Docket Numbers:
Docket No. 91N-0281
RINs:
0910-AZ17
PDF File:
99-21508.pdf
CFR: (3)
21 CFR 878.3530(c)
21 CFR 812.20
21 CFR 878.3530