Medical devices are sterilized in a variety of ways including using moist heat (steam), dry heat, radiation, ethylene oxide (EtO) gas, vaporized hydrogen peroxide, and other sterilization methods (for example, chlorine dioxide gas, vaporized peracetic acid, and nitrogen dioxide).
Update: August 30, 2024
The FDA will host the next in a series of medical device sterilization town halls on September 11, 2024. See Medical Device Sterilization Town Hall Series below for more information.
Ethylene oxide sterilization is an important sterilization method that manufacturers widely use to keep medical devices safe. Learn more about sterilization methods in the Submission and Review of Sterility Information in Premarket Notification (510(k)) Submissions for Devices Labeled as Sterile Guidance.
For many medical devices, sterilization with ethylene oxide may be the only method that effectively sterilizes and does not damage the device during the sterilization process. Medical devices made from certain polymers (plastic or resin), metals, or glass, or that have multiple layers of packaging or hard-to-reach places (for example, catheters) are likely to be sterilized with ethylene oxide.
Literature shows that about fifty percent 1,2,3 of all sterile medical devices in the U.S. are sterilized with ethylene oxide. The types of devices that are sterilized with ethylene oxide range from devices used in general health care practices (for example, wound dressings) to more specialized devices used to treat specific areas of the body (for example, stents).
Before most sterile medical devices are on the market, the FDA reviews premarket submissions to determine if the sterility information (for example, the method the manufacturer is choosing to sterilize their device and validation activities used to show that the device can be effectively sterilized) is in accordance with internationally agreed upon voluntary consensus standards that the FDA recognizes. An important element of our regulatory framework is a robust standards program. The FDA encourages medical device manufacturers to use FDA-recognized voluntary consensus standards in their submissions, as conformity to relevant standards streamlines regulatory review and fosters quality. Learn more about the FDA's Recognized Standards Program.
For ethylene oxide sterilization, two voluntary consensus standards (ANSI AAMI ISO 11135:2014 and ANSI AAMI ISO 10993-7:2008(R)2012) describe how to develop, validate, and control ethylene oxide sterilization processes for medical devices and the acceptable levels of residual ethylene oxide and ethylene chlorohydrin left on a device after it has undergone ethylene oxide sterilization. These standards help ensure levels of ethylene oxide on medical devices are within safe limits since long-term and occupational exposure to ethylene oxide has been linked to cancer. Learn more about the risks of ethylene oxide on the National Institutes of Health web page on ethylene oxide.
If a medical device manufacturer changes the method, process, or the facility identified in its original PMA submission for sterilizing its devices, the manufacturer generally needs to submit a PMA supplement so that the agency can review these changes and determine if they also meet internationally agreed-upon voluntary standards that the FDA recognizes. For manufacturers that are 510(k) holders, sterilization method, process or site modifications can be assessed with the FDA guidance document: "Deciding When to Submit a 510(k) for a Change to an Existing Device" for determination on whether the sterilization modifications would trigger the need for resubmission.
The FDA also inspects industrial facilities that sterilize medical devices and medical device manufacturing facilities to make sure that they have validated sterilization processes that meet FDA-recognized standards.
State health departments inspect health care facilities that use ethylene oxide to sterilize medical devices. Learn more about guidelines for sterilization in health care facilities on the Centers for Disease Control and Prevention web page.
The U.S. Environmental Protection Agency (EPA) reviews and enforces the Clean Air Act regulations for sterilization facilities that emit ethylene oxide to ensure that they protect the public from significant risk. Learn more about the EPA's Regulations for Ethylene Oxide on EPA's website.
The FDA is actively working with sterilization experts, medical device manufacturers, and other government agencies to advance innovative ways to sterilize medical devices with lower levels of currently used agents, and employ new agents or alternatives, while maintaining device safety and effectiveness.
The FDA developed the Sterilization Master File Pilot Programs to help ensure patients have access to safe medical devices and encourage new, innovative ways to sterilize medical devices that reduce the potential impact of EtO on the environment and on public health.
On April 11, 2023, the FDA announced a Radiation Sterilization Master File Pilot Program for companies that sterilize single-use PMA-approved devices using radiation, including gamma radiation, or ethylene oxide.
The Radiation Sterilization Master File Pilot Program is open to all contract sterilization providers who may be able to implement the sterilization changes described in the pilot scope. This voluntary pilot is intended to help contract sterilizers and medical device manufacturers to make changes to or advance alternative ways to sterilize approved medical devices, including changing radiation sources, in a least burdensome regulatory approach. Under this program, PMA holders of Class III medical devices may reference the Master File submitted by their sterilization provider in a post approval report rather than submitting a PMA supplement.
For more information regarding the scope of this pilot and how to submit a proposed master file for consideration for the pilot, please see the Federal Register Notice for the Radiation Sterilization Master File Pilot Program.
The Radiation Sterilization Master File Pilot Program for PMA holders includes the following participants:
Sterilization Provider | Acceptance Date |
---|---|
Steris Corporation | 10/27/2023 |
Note: This pilot program does not include 510(k)-cleared devices. For 510(k)-cleared devices, radiation is an established Category A sterilization method per the Submission and Review of Sterility Information in Premarket Notification (510(k)) Submissions for Devices Labeled as Sterile. Per the Deciding When to Submit a 510(k) for a Change to an Existing Device, changes from one established Category A method to another established Category A method, including a change from gamma to another radiation source, would generally not need a new 510(k) if the change does not significantly affect the performance or biocompatibility of the device, or constitute a major change or modification in the intended use of the device.
The FDA announced, in May 2022, a Sterility Change Master File Pilot Program for sterilization changes to 510(k) cleared medical devices for sterilization providers with an Established Category B or Novel Sterilization Method, as described in the FDA guidance Submission and Review of Sterility Information in Premarket Notification (510(k)) Submissions for Devices Labeled as Sterile.
The EtO Sterility Change Master File Pilot Program includes the following participants:
Sterilization Provider | Acceptance Date |
---|---|
Andersen Scientific, Inc. | 06/28/2023 |
The 510(k) Sterility Change Master File Pilot Program is open to all current 510(k) holders and is intended to help with changes to a cleared medical device's sterilization method from a fixed chamber EtO sterilization cycle to the sterilization method described in the Master File. Under certain conditions, medical device manufacturers can reference the Master File rather than submitting a new 510(k) for the sterilization change.
The pilot program is not limited to the sterilization Innovation Challenge participants (Identify New Sterilization Methods and Technologies or Reduce Ethylene Oxide Emissions). However, the FDA encourages Innovation Challenge participants to consider participation in the pilot program, because they may benefit from it as a part of their Innovation Challenge interactions. The pilot program may be an impactful endpoint for Innovation Challenge participants with Established Category B or Novel Sterilization Methods.
If you have questions about the 510(k) Sterility Change Master File Pilot Program, email cdrh-innovation-sterilization@fda.hhs.gov.
On November 25, 2019, the FDA announced its EtO Sterilization Master File Pilot Program for PMA holders. This voluntary program is intended to allow companies that sterilize single-use medical devices using fixed chamber EtO to submit a Master File when making certain changes between sterilization processes and facilities that reduces the amount of EtO concentrations on medical devices.
Under this voluntary program, PMA holders of Class III medical devices may reference the Master File submitted by their sterilization provider in a post approval report rather than submitting a PMA supplement.
The EtO Sterilization Master File Pilot Program for PMA holders includes the following participants:
Company | Acceptance Date |
---|---|
Boston Scientific | March 18, 2020 |
Becton, Dickinson & Company (BD) | September 11, 2020 |
Steris Corporation | October 25, 2021 |
Oscor, Inc. | December 17, 2021 |
Medtronic, Inc. | February 17, 2022 |
On July 15, 2019, the FDA announced two public innovation challenges to encourage development of novel sterilization methods, which could include new devices or new modalities that are safe and effective for sterilizing medical devices:
On November 25, 2019, the FDA announced that 46 applications were received and 12 participants selected for the challenges. Refer to each challenge page for details on the selected participants and next steps.
On November 6-7, 2019, the FDA held a meeting of the General Hospital and Personal Use Devices Panel of the Medical Devices Advisory Committee to discuss how best to advance innovations in medical device sterilization. Meeting materials and other event materials are available on the General Hospital and Personal Use Devices Panel of the Medical Devices Advisory Committee Meeting web page.
One recommendation from the advisory committee meeting is for device manufacturers to begin, as soon as possible, reducing the amount of paper (such as the labeling and instructions for use manuals) that is included in the sterile device package. An ethylene oxide sterilized medical device must be sealed in a carefully designed gas-permeable package that enables the ethylene oxide gas to enter. When the sterilization load (encompassing all the materials inserted into the sterilizer chamber with the device) includes a large amount of paper with the device, it hinders the ethylene oxide getting to the device and generally means that more ethylene oxide is required. Because of this, the FDA is encouraging device manufacturers to move to electronic materials where feasible and safe for device users. We are committed to working with industry to make this change.
In May and November 2019, the FDA engaged the infection control community at the CDC's Healthcare Infection Control Practices Advisory Committee (HICPAC) meeting to update the public on the FDA's work and engagement with industry on sterilization modalities with devices that are normally sterilized using ethylene oxide.
According to the FDA’s guidance, Appropriate Use of Voluntary Consensus Standards in Premarket Submissions for Medical Devices, the FDA may determine which new or revised standards are appropriate for meeting requirements for medical devices under the Federal Food, Drug, and Cosmetic Act.
The FDA updated the Recognized Consensus Standards database to include the complete recognition of one sterilization standard and two Technical Information Reports (TIRs) intended to advance innovation in medical device sterilization processes, support manufacturers’ use of low temperature vaporized hydrogen peroxide, and streamline the premarket review process:
In January 2024, the FDA updated the final guidance Submission and Review of Sterility Information in Premarket Notification (510(k)) Submissions for Devices Labeled as Sterile. The FDA now considers vaporized hydrogen peroxide (VHP) as an Established Category A sterilization process following the recent FDA recognition of the International Organization for Standardization’s first version of ISO Standard 22441:2022- Sterilization of health care products - Low temperature vaporized hydrogen peroxide - Requirements for the development, validation and routine control of a sterilization process for medical devices. Moving VHP from Established Category B to Established Category A reduces the regulatory burden on manufacturers using this sterilization process for devices that need a 510(k). The updated guidance provides revised recommendations on the information to provide in future 510(k) submissions that use VHP.
For additional information related to FDA-recognized standards, including other sterilization standards, see the Recognized Consensus Standards database for medical devices.
The FDA is holding a series of virtual town halls to discuss the current medical device sterilization landscape and potential activities to advance innovation in the field of medical device sterilization. Discussion topics are anticipated to include past and present FDA activities, premarket considerations for sterilization-related review, successes and challenges reducing ethylene oxide (EtO) use and exploring alternative modalities, the use and development of sterilization standards, and other topics of interest. The series is intended to provide an interactive way to share information, questions, and comments. For comments or questions related to the series, please email us at MedicalDeviceSterilization@fda.hhs.gov.
Date | Event |
---|---|
10/30/2024 | Sterilization Short Topics and Open Q&A (1:00-2:00 PM ET) |
10/09/2024 | Sterilization Short Topics and Open Q&A (2:00-3:00 PM ET) |
09/11/2024 | Sterility Master Files and Effective Use in Premarket Submissions (1:00-2:00 PM ET) |
08/07/2024 | Sterilization Short Topics and Open Q&A |
07/10/2024 | Mock Pre-Submission on Implementing a Change in Sterilization Method |
06/12/2024 | Sterilization Open Q&A |
05/23/2024 | Sterilization Method Selection for New and Existing Devices |
04/29/2024 | Topics and Formats for the Continuing Sterilization Series |
03/21/2024 | The Value and Use of Recognized Consensus Standards in Premarket Submissions |
02/29/2024 | FDA Modifications (Mods) Guidances and the use of Master Files in Review |
02/07/2024 | Premarket Submission Expectations and Additional Considerations for Sterility Review |
01/26/2024 | FDA Activities and Challenges in Reducing Reliance on Ethylene Oxide (EtO) |
01/10/2024 | Overview of Sterilization Landscape and Role of Ethylene Oxide |
If your products are affected by the stop of operations at a sterilization facility and you are planning to use an alternative facility to sterilize your products:
2 Blass, C. (2001). The Role of Poly(vinyl Chloride) in Healthcare. Shawbury, UK: Rapra Technology Limited.