{"id":5885,"date":"2026-02-04T17:09:23","date_gmt":"2026-02-04T17:09:23","guid":{"rendered":"https:\/\/complyguru.com\/en-us\/blog\/design-controls-and-iso-13485-design-and-development\/"},"modified":"2026-02-04T17:19:59","modified_gmt":"2026-02-04T17:19:59","slug":"design-controls-and-iso-13485-design-and-development","status":"publish","type":"post","link":"https:\/\/complyguru.com\/en-us\/design-controls-and-iso-13485-design-and-development\/","title":{"rendered":"Design Controls, Design and Development under FDA QMSR"},"content":{"rendered":"
Design and Development activities have long been a focal point of regulatory scrutiny in the medical device industry.\u00a0 That focus is not diminishing.\u00a0 While the FDA\u2019s Quality Management System Regulation (QMSR) aligns the U.S. Quality System Framework more closely with ISO 13485:2016, manufacturers should not interpret this alignment as a fundamental change in regulatory expectations for design controls.\u00a0 Instead, QMSR<\/a> reinforces a long-standing reality: effective design and development controls must be demonstrable, well integrated, and consistently applied throughout the product lifecycle.<\/p>\n Under the former 21 CFR 820.30, FDA explicitly used the term \u201cdesign controls\u201d, whereas ISO 13485:2016 refers to \u201cdesign and development\u201d requirements in Clause 7.3.\u00a0 Under QMSR, FDA adopts ISO terminology and structure, including the use of the term \u201cDesign and Development\u201d.\u00a0 However, the underlying regulatory intent remains focused on ensuring that devices are designed in a controlled manner that consistently meets user needs, intended use, and applicable regulatory requirements.<\/p>\n FDA design controls historically emphasized the establishment and maintenance of structured design processes, supported by objective evidence.\u00a0 These processes include design planning, design inputs and outputs, verification and validation, design review, design transfer, and design change control.\u00a0 FDA inspections have often focused not only on whether these activities occurred, but on how well they were executed, documented, and linked together.\u00a0 In particular, the FDA has traditionally evaluated whether manufacturers can clearly demonstrate traceability from user needs and intended use through design outputs, verification, validation, and risk management activities.<\/p>\n ISO 13485:2016 Clause 7.3 contains many of the same elements.\u00a0 It explicitly requires design and development planning, documented design inputs and outputs, verification and validation activities, design transfer, design changes, and design reviews at suitable stages.\u00a0 Design reviews are not optional under ISO 13485, and the standard clearly requires that reviews by systematic and include representatives of functions concerned with the design stage being reviewed.\u00a0 In this respect, ISO and FDA requirements are aligned at a fundamental level.<\/p>\nTerminology Alignment Under QMSR<\/strong><\/h2>\n
FDA Design Controls: Emphasis on Structure and Evidence<\/strong><\/h2>\n
ISO 13485 Design and Development Requirements<\/strong><\/h2>\n
Design Reviews: Differences in Interpretation, Not Requirement<\/strong><\/h2>\n