The US Food and Drug Administration (FDA) began the new year by publishing draft guidance titled Artificial Intelligence-Enabled Device Software Functions: Lifecycle Management and Marketing Submission Recommendations (the Draft AI Guidance).1 This guidance offers detailed recommendations to support the development and marketing of safe and effective AI-enabled devices, including by identifying the information and documentation the FDA requests for marketing submissions2 for devices that include AI-enabled software functions.3 The Draft AI Guidance, which is voluntary, also includes guidance on the design, development, deployment, and maintenance of AI-enabled devices.
The Draft AI Guidance was issued in the final weeks of the Biden administration and is based on the agency’s authorization of more than 1,000 AI-enabled devices through established premarket pathways. Although comments on the draft guidance will be accepted through April 7, 2025,4 it is unclear how this guidance will fit into the larger Trump administration’s approach to AI. In one of his first actions, President Trump issued an Executive Order rescinding the Biden administration’s sweeping executive order regulating AI5 and later issued one of his own, marking a potentially significant shift in federal agency oversight of, and perspective on, AI. The Draft AI Guidance, however, is of a more practical and administrative nature.
Below we outline key aspects of the Draft AI Guidance and its recommendations, as well as key takeaways for businesses across the healthcare sector.
The Draft AI Guidance provides a detailed explanation as to what information the agency recommends that sponsors include in an AI-enabled device marketing submission, where such information should be included, and why. The FDA recommends, among other things, as follows:
The FDA also makes available resources to assist in preparing marketing submissions for AI-enabled devices. For instance, the Draft AI Guidance includes examples of submission language and an appendix outlining recommendations for the contents and formatting of a “model card,” designed to support clear and consistent communications about the AI-enabled device to interested parties. While not required, the agency emphasizes that use of a “model card” is a potential means to consistently summarize the key aspects of AI- enabled devices and can be used to concisely describe their characteristics, performance, and limitations.
More generally, building on its long-standing commitment to a TPLC approach to oversight of medical devices, the FDA’s Draft AI Guidance references various regulatory obligations (including with regard to cybersecurity) and cross-references other agency guidance in order to assist manufacturers with applying these regulatory authorities and earlier FDA recommendations to AI-enabled devices. It also provides recommendations and resources in support of the design, development, validation, marketing, and ongoing oversight of AI-enabled devices.
If you would like to learn more about the Draft AI Guidance or about Dentons’ AI and Healthcare teams, please reach out to one of the co-authors listed in this guidance.