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4 min read
Tracy Case
:
Sep 17, 2025 2:41:36 PM
The genesis of innovative medical devices often emanates from engineering labs or academic research. If your regulatory consultants believe your pathway requires a clinical study through an FDA Investigational Device Exemption, there are clinical components to IDE applications that will prompt the FDA to ask questions that will slow you down or worse, result in a rejected application if not adequately addressed.
IDE submissions frequently face significant delays or rejections on first review. For medical device innovators whose expertise lies in engineering excellence rather than clinical acumen, this frequently creates a critical bottleneck that can delay patient access to novel technologies by months or years.
Consider this scenario: A startup engineering team develops an AI-powered cardiac monitoring device with 95% accuracy in detecting arrhythmias. Like many startups, they lack dedicated clinical resources, leading to what Veranex Director of Clinical Research Tracy Case describes as "insufficient clinical alignment." Their IDE application focuses heavily on algorithm performance, but their engineering risk assessment fails to address critical clinical risks. While they may thoroughly identify device malfunction probabilities, they miss clinical consequences of outputs such as false negatives, which could lead to medical decision-making that causes serious or even fatal outcomes. The FDA's response? An IDE rejection letter until the clinical risk justification is strengthened and adequately reflects clinical implications.
"For startups and many small companies, the absence of dedicated clinical teams often creates a significant disconnect with clinical application requirements," explains Case. This creates a fundamental challenge: startups often reach the IDE stage with purely technical documentation that fails to address the FDA's clinical evidence requirements.
The consequences are predictable and costly.
Case points to a systemic issue: "Documentation often lacks proper clinical review and alignment," leading to engineering risk assessments that fail to correspond with clinical risk considerations. The FDA expects cohesive documentation where technical risks directly correlate with clinical safety measures.
One of the most common and avoidable causes of IDE rejection stems from misalignment between engineering and clinical risk assessments. "While engineers tend to focus on device performance metrics, they must also demonstrate that the potential benefits outweigh the risks for the intended patient population," Case explains.
Engineering teams often excel at enhancing technical performance but may overlook downstream clinical consequences. Conversely, clinical teams prioritize patient safety outcomes but may not fully understand the technical device features and attributes that may lead to clinical risks. Case emphasizes: "When clinical risk assessments reference risks that weren't addressed in the engineering assessment, it creates obvious inconsistencies."
According to Case, successful IDE submissions must address six fundamental clinical considerations:
To mitigate these risks, Case recommends the following essential operational planning elements: "Protocol feasibility assessment, enrollment modeling, site and patient workflow mapping, and deployment of tools like pre-screening checklists and targeted recruitment campaigns."
While planning your clinical operations, remember that many IDE study sites won't initiate enrollment without CMS coverage approval—even with FDA and IRB clearance. This overlooked step can add weeks to your timeline and create unexpected five-figure cost burdens if not planned properly.
"This is the critical part," Case emphasizes "Regulators can clearly see how thoughtfully you design a study. Do not rush the quality and comprehensiveness of an IDE application."
These clinical considerations form an interconnected framework that must be seamlessly integrated with technical development while maintaining the FDA's central focus on patient and user safety. Case emphasizes that clinical expertise is a parallel competency that must be developed alongside technical innovation.
For engineering innovators, the path forward requires embracing clinical expertise as a core competency rather than an external requirement. The teams that master this integration will deliver novel solutions to patients faster and with greater confidence of regulatory success.
Don't let your breakthrough technology fail unnecessarily. Tracy Case and the Veranex clinical research team have guided countless engineering innovators through successful IDE submissions by integrating all essential clinical considerations from day one. Schedule a consultation to discuss your IDE strategy and learn how Veranex's integrated approach can eliminate costly handoffs, ensure your endpoints align with FDA expectations, and develop operational strategies that minimize patient risk while maximizing data quality.
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