Respiratory Protective Devices Used in Healthcare, 14515-14517 [2014-05611]
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14515
Federal Register / Vol. 79, No. 50 / Friday, March 14, 2014 / Notices
Comments on the ICR must be
received on or before April 14, 2014.
ADDRESSES: Submit your comments to
OIRA_submission@omb.eop.gov or via
facsimile to (202) 395–5806.
FOR FURTHER INFORMATION CONTACT:
Information Collection Clearance staff,
Information.CollectionClearance@
hhs.gov or (202) 690–6162.
SUPPLEMENTARY INFORMATION: When
submitting comments or requesting
information, please include the OMB
control number 0955–0009 and
document identifier HHS–OS–21223–
30D for reference.
Information Collection Request Title:
Regional Extension Center Cooperative
Agreement Program (CRM Tool).
OMB No.: 0955–0009.
Abstract: The Customer Relationship
Management (CRM) application is a
nimble business intelligence tool being
used by more than 1,500 users at ONC
partner organizations and grantees. The
CRM collects data from a large number
DATES:
of users throughout the United States
who are ‘‘on the ground’’ helping
healthcare providers adopt and optimize
their IT systems, it provides near realtime data about the adoption,
utilization, and meaningful use of EHR
technology.
Approximately half of all Primary
Care Providers in the nation are
represented in the CRM tool; data points
include provider location, credential,
specialty, whether live on an EHR and
what system, whether they’ve reached
MU, the time between these, and
narrative barriers experienced by many
of these.
Need and Proposed Use of the
Information: The CRM tool supplements
and is regularly merged with other data
sources both within and outside of HHS
and tracks program performance and
progress towards milestones. Combined
with ONC’s internal analytical capacity,
this data provides feedback that goes
beyond anecdotal evidence and can be
turned into tangible lessons learned that
are used to focus policy and program
efforts and ultimately achieve concrete
outcomes.
Likely Respondents: Regional
Extension Centers.
Burden Statement: Burden in this
context means the time expended by
persons to generate, maintain, retain,
disclose or provide the information
requested. This includes the time
needed to review instructions, to
develop, acquire, install and utilize
technology and systems for the purpose
of collecting, validating and verifying
information, processing and
maintaining information, and disclosing
and providing information, to train
personnel and to be able to respond to
a collection of information, to search
data sources, to complete and review
the collection of information, and to
transmit or otherwise disclose the
information. The total annual burden
hours estimated for this ICR are
summarized in the table below.
TOTAL ESTIMATED ANNUALIZED BURDEN—HOURS
Number of
responses per
respondent
Type of
respondent
CRM Tool ...............................
CRM Tool ...............................
Regional Extension Center .........................
Community College Consortia ....................
60
84
12
20
1.5
1.5
1,080
2,520
Total ................................
.....................................................................
........................
........................
........................
3,600
Darius Taylor,
Deputy, Information Collection Clearance
Officer.
[FR Doc. 2014–05657 Filed 3–13–14; 8:45 am]
BILLING CODE 4150–45–P
DEPARTMENT OF HEALTH AND
HUMAN SERVICES
Centers for Disease Control and
Prevention
[CDC–2014–0005, Docket Number NIOSH–
272]
Respiratory Protective Devices Used in
Healthcare
National Institute for
Occupational Safety and Health
(NIOSH) of the Centers for Disease
Control and Prevention (CDC),
Department of Health and Human
Services (HHS).
ACTION: Notice of request for
information and comment.
sroberts on DSK5SPTVN1PROD with NOTICES
AGENCY:
Respiratory protective devices
(RPDs) that are approved by the
National Institute for Occupational
Safety and Health (NIOSH) and also
SUMMARY:
VerDate Mar<15>2010
19:18 Mar 13, 2014
Jkt 232001
Number of
respondents
Average
burden hours
per response
Forms (If necessary)
cleared by the Food and Drug
Administration (FDA) a as medical
devices are widely used in surgical and
non-surgical healthcare environments.
There are reports b that other NIOSHapproved RPDs that are not FDA-cleared
medical devices are also being used to
protect healthcare workers from
inhalation hazards. The desirability of
NIOSH incorporating additional
requirements and tests in its 42 CFR
Part 84 respirator approval process to
parallel the protections in the FDA
clearance process for Surgical N95
Respirators in surgical and non-surgical
healthcare environments has been
mentioned during broad-based and
cross-agency discussions for future
pandemic events as well as day-to-day
use in healthcare settings.
NIOSH could augment the existing
requirements and tests of the 42 CFR
Part 84 conformity assessment process
to incorporate requirements included in
the FDA clearance process, such as fluid
a 21
CFR 878.4040 (FDA 510(K)Clearance)
L, Prevalence of Respiratory
Protective Devices in U.S. Healthcare Systems,
Internal NIOSH Survey Report, Jan. 7, 2014.
(available in docket)
b Stradtman,
PO 00000
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Sfmt 4703
Total
burden hours
resistance and flammability. Both FDA
and NIOSH require demonstration of
filtration performance. The current
NIOSH filtration testing requirements
use non-biological aerosol based on the
assumption that all particles, biological
or non-biological, behave according to
the same principles of aerosol physics
for filtration: That is, by impaction,
interception, diffusion, and electrostatic
attraction. NIOSH is seeking public
comment with available supporting data
that either validates or disproves this
assumption.
NIOSH is requesting information and
comments on the following:
1. Do healthcare stakeholders
anticipate expanding the use of RPDs to
include elastomeric air purifying
respirators and/or Powered Air
Purifying Respirators (PAPRs)?
2. For protections appropriate for
RPDs to be used in surgical and/or nonsurgical healthcare environments,
should NIOSH consider adding tests
and requirements to the 42 CFR Part 84
conformity assessment process for
splash/spray protection (fluid
resistance) per ASTM F1862:2000a, or
other appropriate standards? NIOSH
seeks evidence related to the
E:\FR\FM\14MRN1.SGM
14MRN1
sroberts on DSK5SPTVN1PROD with NOTICES
14516
Federal Register / Vol. 79, No. 50 / Friday, March 14, 2014 / Notices
performance of existing products
(NIOSH-approved, but not FDA-cleared
as a medical device) against this
standard and the prevalence and
characteristics of actual sprays/splashes
faced by healthcare workers during nonsurgical patient care.
3. For RPDs to be used in surgical
and/or non-surgical healthcare
environments, should NIOSH consider
adding requirements and tests beyond
those provided in 42 CFR Part 84 for
protection against flammability hazards
per 16 CFR 1610, UL 2154, or other
appropriate standards? NIOSH seeks
evidence related to the performance of
existing products (NIOSH-approved, but
not FDA-cleared as a medical device)
against this standard and the prevalence
and characteristics of actual
flammability hazards faced by
healthcare workers during patient care
(i.e., non-surgical activities).
4. For RPDs to be used in surgical
and/or non-surgical healthcare
environments, should NIOSH consider
adding optional, supplemental filtration
testing (e.g., ASTM F2101–01 (Bacterial
Filtration Efficiency) and ASTM
F1215:1989 (Particulate Filtration
Efficiency)) in addition to the existing
NIOSH filter requirements in 42 CFR
Part 84? NIOSH requests evidence
related to the performance of existing
products (NIOSH-approved, but not
FDA-cleared as a medical device)
against these alternative filter test
methods and the prevalence and
characteristics of airborne exposures
faced by healthcare workers during
patient care (i.e., non-surgical
activities). NIOSH seeks comparative
results for testing against such candidate
supplemental standards versus test
results achieved in the existing filter
efficiency tests of 42 CFR Part 84.
DATES: All comments must be received
by April 14, 2014.
FOR FURTHER INFORMATION CONTACT:
Roland Berry Ann, NIOSH NPPTL, P.O.
Box 18070, Pittsburgh, PA 15236; (412)
386–6111 (this is not a toll-free
number). Information requests can also
be submitted by email to nioshdocket@
cdc.gov.
ADDRESSES: You may submit comments
identified by CDC–2014–0005 and
Docket Number NIOSH–272 by either of
the two following methods:
• Federal eRulemaking Portal: https://
www.regulations.gov. Follow the
instructions for submitting comments.
• Mail: NIOSH Docket Office, Robert
A. Taft Laboratories, MS–C34, 4676
Columbia Parkway, Cincinnati, OH
45226.
Instructions: All information received
in response to this notice must include
VerDate Mar<15>2010
19:18 Mar 13, 2014
Jkt 232001
the agency name and docket number
[CDC–2014–0005; NIOSH–272]. All
relevant comments received will be
posted without change to
www.regulations.gov, including any
personal information provided. All
electronic comments should be
formatted as Microsoft Word. For access
to the docket to read background
documents or comments received, go to
www.regulations.gov.
SUPPLEMENTARY INFORMATION:
1910.134, where respirators are
required, they must be NIOSH-approved
and used as part of a respiratory
protection program which includes
medical evaluation, training, and fit
testing (when applicable). OSHA does
not require RPDs used in a healthcare
setting to be cleared by the FDA. Many
RPDs used in healthcare settings have
not been submitted by industry for FDA
premarket clearance, and therefore have
not been FDA-cleared as medical
devices.
There are two general categories of
RPDs found in healthcare settings: (1)
Those approved by NIOSH and (2) those
approved by NIOSH and receiving FDA
Premarket Notification [510(k)]
clearance as a Surgical N95 Respirator
by the FDA. RPDs approved by NIOSH
which are not cleared by FDA include
NIOSH-approved N95, P95, and P100
FFRs; Powered, Air-Purifying
Respirators (PAPR); and elastomeric half
facepiece air-purifying respirators. The
most common of these is the N95 FFR.
Surgical N95 Respirators cleared by
FDA and approved by NIOSH are N95
FFRs that also meet certain
requirements for fluid resistance per
ASTM F1862:2000a and sometimes
flammability requirements per 16 CFR
1610 and UL 2154.
I. Background
Under 42 CFR Part 84, NIOSH
approves RPDs for protection against
inhalation hazards in all occupational
settings. The FDA regulates medical
devices that are intended to prevent the
transmission of disease in humans. FDA
defines a medical device under Section
201(h) of the Federal Food, Drug and
Cosmetic Act (21 U.S.C. 321(h)).
The Occupational Safety and Health
Administration’s (OSHA’s) Bloodborne
Pathogens regulation specifies masks in
combination with eye protection
devices, such as goggles or glasses with
solid side shields, or chin-length face
shields, are to be worn whenever
splashes, sprays, spatters, or droplets of
blood or other potentially infectious
materials may be generated and eye,
nose, or mouth contamination can be
reasonably anticipated. (29 CFR
1910.1030(d)(3)(x)).
The FDA clears surgical masks (e.g.,
laser masks or procedure masks) as
medical devices,c in that they are
intended to prevent disease. They
protect healthcare workers from
splashes, sprays, spatters, and droplets
of respiratory secretions, blood and
other body fluids. The FDA may issue
a premarket clearance as a medical
device only for certain NIOSH-approved
N95 filtering facepiece respirators
(FFRs) assessed for clearance
characteristics equivalent to FDAcleared masks that are used in the
healthcare setting. Currently, the only
medical device classification that can be
applied to a NIOSH-approved respirator
is that of a Surgical N95 Respirator.
FDA regulates NIOSH-approved
Surgical N95 Respirators as medical
devices intended for use in healthcare
settings under the regulation 21 CFR
878.4040. OSHA has the primary
responsibility for enforcing proper use
of RPDs in the workplace, including
healthcare settings, as described in the
Respiratory Protection standard (29 CFR
1910.134). According to section
During the early stages of a pandemic,
before vaccines are widely available and
the mode(s) of disease transmission are
fully understood, personal protective
equipment will be an important
component of a non-pharmaceutical
intervention strategy to reduce disease
transmission. Some of the RPDs used as
part of the intervention could be RPDs
in frequent or daily use for non-outbreak
hazards.
Due to the expected importance of
RPD use during a pandemic, the HHS
recommends that healthcare facilities
stockpile a 6–8 week supply of
disposable N95 FFRs. However, it has
been documented d that the stockpiling
recommendation has been a challenge
for healthcare facilities. Noted barriers
to stockpiling N95 FFRs include: lack of
storage space, limited use within normal
working parameters, shelf-life
limitations, and working against the
typical ‘‘just-in-time’’ supply chains,
which only allow for a limited number
of on-hand supplies. This is challenging
due to the sheer number of RPDs that
will be needed during a pandemic.
According to the CDC, an estimated 90
c According to the Food, Drug and Cosmetic Act,
the FDA reviews for clearance medical devices that
are intended to cure, mitigate, treat, or prevent
disease in man.
d According to the Food, Drug and Cosmetic Act,
the FDA reviews for clearance medical devices that
are intended to cure, mitigate, treat, or prevent
disease in man.
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Applicability to Pandemic Preparedness
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Federal Register / Vol. 79, No. 50 / Friday, March 14, 2014 / Notices
sroberts on DSK5SPTVN1PROD with NOTICES
million N95 FFRs would be needed to
protect healthcare workers during a 42day pandemic. The rapid increase in
RPD usage was apparent during the
2009 H1N1 pandemic.e f RPD usage may
also increase beyond pandemic
recommendations due to concerns about
disease transmission.
Because of the potential for splashes
and sprays (e.g., from a severed artery,
cough, or sneeze), some facilities have
selected NIOSH approved and FDAcleared Surgical N95 respirators as the
primary option for protecting healthcare
workers during a pandemic. However,
other NIOSH-approved RPDs might
need to be considered because there
may not be enough of the FDA-cleared
devices to protect healthcare workers
and other essential personnel during a
pandemic or outbreak.
NIOSH-approved respiratory
protective devices that are also FDAcleared medical devices are widely used
in surgical and non-surgical healthcare
environments. There are reports b c that
other types of NIOSH-approved RPDs
that are not FDA-cleared medical
devices are being used as well to protect
workers in both surgical and nonsurgical healthcare environments from
inhalation hazards. The desirability of
NIOSH incorporating additional
requirements and tests in its 42 CFR
Part 84 respirator approval process to
parallel the protections in the FDA
clearance process for Surgical N95
Respirators in surgical and non-surgical
healthcare environments has been
mentioned during broad-based and
cross-agency planning discussions for
dealing with future pandemics.
NIOSH intends to use this
information to consider augmenting the
existing protections of 42 CFR Part 84 to
incorporate requirements included in
the FDA clearance process, such as fluid
resistance and flammability. b c NIOSH is
seeking public comment on the
desirability of adding requirements and
tests in its 42 CFR Part 84 respirator
approval process to parallel the
e Bunyan D, Ritchie L, Jenkins D, Coia JE.
Respiratory and facial protection: a critical review
of recent literature. J Hosp. Infect. 2013 Nov;
85(3):165–9.
f Association of State and Territorial Health
Officials. Assessing Policy Barriers to Effective
Public Health Response in the H1N1 Influenza
Pandemic. Arlington: Association of State and
Territorial Health Officials; 2010.
FFRs are the primary choice of respiratory
protection over PAPRs or elastomeric respirators for
numerous reasons. They are disposable and
therefore do not require cleaning or reprocessing.
They are lighter in weight and less cumbersome to
don and doff as straps are generally not adjustable;
nor are there any filter cartridges to be manipulated.
Also, they are familiar to HCWs because of their
resemblance to surgical masks commonly used in
healthcare environments.
VerDate Mar<15>2010
19:18 Mar 13, 2014
Jkt 232001
protections in the FDA clearance
process.
Both FDA and NIOSH require
demonstration of filtration performance.
The current NIOSH filtration testing
requirements use non-biological aerosol
based on the assumption that all
particles, biological or non-biological,
behave according to the same principles
of aerosol physics for filtration: that is,
by impaction, interception, diffusion,
and electrostatic attraction. NIOSH is
seeking public comment with available
supporting data that either validates or
disproves this assumption.
Next Steps: NIOSH will determine
next steps after all comments are
reviewed and assessed. NIOSH intends
to provide an entry to the docket
regarding next steps no later than June
30, 2014.
14517
DEPARTMENT OF HEALTH AND
HUMAN SERVICES
Submit written requests for
single copies of the draft guidance to the
Division of Drug Information, Center for
Drug Evaluation and Research, Food
and Drug Administration, 10903 New
Hampshire Ave., Bldg. 51, Rm. 2201,
Silver Spring, MD 20993–0002. Send
one self-addressed adhesive label to
assist that office in processing your
requests. See the SUPPLEMENTARY
INFORMATION section for electronic
access to the draft guidance document.
Submit electronic comments on the
draft guidance to https://
www.regulations.gov. Submit written
comments to the Division of Dockets
Management (HFA–305), Food and Drug
Administration, 5630 Fishers Lane, Rm.
1061, Rockville, MD 20852.
FOR FURTHER INFORMATION CONTACT:
Pallavi Nithyanandan, Center for Drug
Evaluation and Research, Food and
Drug Administration, 10903 New
Hampshire Ave., Bldg. 51, Rm. 4171,
Silver Spring, MD 20993–0002, 301–
796–7546, or Stephen Ripley, Center for
Biologics Evaluation and Research
(HFM–17), Food and Drug
Administration, 1401 Rockville Pike,
Suite 200N, Rockville, MD 20852–1448,
301–827–6210.
SUPPLEMENTARY INFORMATION:
Food and Drug Administration
I. Background
[Docket No. FDA–2014–D–0248]
FDA is announcing the availability of
a draft guidance for industry entitled
‘‘Allowable Excess Volume and Labeled
Vial Fill Size in Injectable Drug and
Biological Products.’’ FDA is concerned
that injectable vial misuse, including
unsafe handling and injection
techniques, has led to an increase in vial
contamination and an increased risk of
bloodborne illness transmission
between patients. This guidance
clarifies the FDA requirements and
regulations pertaining to allowable
excess volume in injectable vials and
describes when justification is needed
for a proposed excess volume in an
injectable drug or biological product.
This guidance also discusses the
importance of appropriate packaging
sizes for injectable drug and biological
products and recommends that labeled
vial fill sizes be appropriate for the use
and dosing of the drug and biological
product. This guidance specifically
addresses fill and packaging issues for
injectable drug and biological products
packaged in vials and ampules.
This draft guidance is being issued
consistent with FDA’s good guidance
practices regulation (21 CFR 10.115).
The draft guidance, when finalized, will
represent the Agency’s current thinking
on this topic. It does not create or confer
any rights for or on any person and does
Dated: March 10, 2014.
John Howard,
Director, National Institute for Occupational
Safety and Health, Centers for Disease Control
and Prevention.
[FR Doc. 2014–05611 Filed 3–13–14; 8:45 a.m.]
BILLING CODE 4163–19–P
Draft Guidance for Industry on
Allowable Excess Volume and Labeled
Vial Fill Size in Injectable Drug and
Biological Products; Availability
AGENCY:
Food and Drug Administration,
HHS.
ACTION:
Notice.
The Food and Drug
Administration (FDA) is announcing the
availability of a draft guidance for
industry entitled ‘‘Allowable Excess
Volume and Labeled Vial Fill Size in
Injectable Drug and Biological
Products.’’ This guidance clarifies the
FDA requirements and regulations
pertaining to allowable excess volume
in injectable vials and reinforces the
importance of appropriate packaging
sizes for injectable drug 1 and biological
products.
DATES: Although you can comment on
any guidance at any time (see 21 CFR
10.115(g)(5)), to ensure that the Agency
considers your comment on this draft
guidance before it begins work on the
final version of the guidance, submit
either electronic or written comments
on the draft guidance by June 12, 2014.
SUMMARY:
1 The term drug used throughout this guidance
refers to drugs and biological products.
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ADDRESSES:
E:\FR\FM\14MRN1.SGM
14MRN1
Agencies
[Federal Register Volume 79, Number 50 (Friday, March 14, 2014)]
[Notices]
[Pages 14515-14517]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2014-05611]
-----------------------------------------------------------------------
DEPARTMENT OF HEALTH AND HUMAN SERVICES
Centers for Disease Control and Prevention
[CDC-2014-0005, Docket Number NIOSH-272]
Respiratory Protective Devices Used in Healthcare
AGENCY: National Institute for Occupational Safety and Health (NIOSH)
of the Centers for Disease Control and Prevention (CDC), Department of
Health and Human Services (HHS).
ACTION: Notice of request for information and comment.
-----------------------------------------------------------------------
SUMMARY: Respiratory protective devices (RPDs) that are approved by the
National Institute for Occupational Safety and Health (NIOSH) and also
cleared by the Food and Drug Administration (FDA) \a\ as medical
devices are widely used in surgical and non-surgical healthcare
environments. There are reports \b\ that other NIOSH-approved RPDs that
are not FDA-cleared medical devices are also being used to protect
healthcare workers from inhalation hazards. The desirability of NIOSH
incorporating additional requirements and tests in its 42 CFR Part 84
respirator approval process to parallel the protections in the FDA
clearance process for Surgical N95 Respirators in surgical and non-
surgical healthcare environments has been mentioned during broad-based
and cross-agency discussions for future pandemic events as well as day-
to-day use in healthcare settings.
---------------------------------------------------------------------------
\a\ 21 CFR 878.4040 (FDA 510(K)Clearance)
\b\ Stradtman, L, Prevalence of Respiratory Protective Devices
in U.S. Healthcare Systems, Internal NIOSH Survey Report, Jan. 7,
2014. (available in docket)
---------------------------------------------------------------------------
NIOSH could augment the existing requirements and tests of the 42
CFR Part 84 conformity assessment process to incorporate requirements
included in the FDA clearance process, such as fluid resistance and
flammability. Both FDA and NIOSH require demonstration of filtration
performance. The current NIOSH filtration testing requirements use non-
biological aerosol based on the assumption that all particles,
biological or non-biological, behave according to the same principles
of aerosol physics for filtration: That is, by impaction, interception,
diffusion, and electrostatic attraction. NIOSH is seeking public
comment with available supporting data that either validates or
disproves this assumption.
NIOSH is requesting information and comments on the following:
1. Do healthcare stakeholders anticipate expanding the use of RPDs
to include elastomeric air purifying respirators and/or Powered Air
Purifying Respirators (PAPRs)?
2. For protections appropriate for RPDs to be used in surgical and/
or non-surgical healthcare environments, should NIOSH consider adding
tests and requirements to the 42 CFR Part 84 conformity assessment
process for splash/spray protection (fluid resistance) per ASTM
F1862:2000a, or other appropriate standards? NIOSH seeks evidence
related to the
[[Page 14516]]
performance of existing products (NIOSH-approved, but not FDA-cleared
as a medical device) against this standard and the prevalence and
characteristics of actual sprays/splashes faced by healthcare workers
during non-surgical patient care.
3. For RPDs to be used in surgical and/or non-surgical healthcare
environments, should NIOSH consider adding requirements and tests
beyond those provided in 42 CFR Part 84 for protection against
flammability hazards per 16 CFR 1610, UL 2154, or other appropriate
standards? NIOSH seeks evidence related to the performance of existing
products (NIOSH-approved, but not FDA-cleared as a medical device)
against this standard and the prevalence and characteristics of actual
flammability hazards faced by healthcare workers during patient care
(i.e., non-surgical activities).
4. For RPDs to be used in surgical and/or non-surgical healthcare
environments, should NIOSH consider adding optional, supplemental
filtration testing (e.g., ASTM F2101-01 (Bacterial Filtration
Efficiency) and ASTM F1215:1989 (Particulate Filtration Efficiency)) in
addition to the existing NIOSH filter requirements in 42 CFR Part 84?
NIOSH requests evidence related to the performance of existing products
(NIOSH-approved, but not FDA-cleared as a medical device) against these
alternative filter test methods and the prevalence and characteristics
of airborne exposures faced by healthcare workers during patient care
(i.e., non-surgical activities). NIOSH seeks comparative results for
testing against such candidate supplemental standards versus test
results achieved in the existing filter efficiency tests of 42 CFR Part
84.
DATES: All comments must be received by April 14, 2014.
FOR FURTHER INFORMATION CONTACT: Roland Berry Ann, NIOSH NPPTL, P.O.
Box 18070, Pittsburgh, PA 15236; (412) 386-6111 (this is not a toll-
free number). Information requests can also be submitted by email to
nioshdocket@cdc.gov.
ADDRESSES: You may submit comments identified by CDC-2014-0005 and
Docket Number NIOSH-272 by either of the two following methods:
Federal eRulemaking Portal: https://www.regulations.gov.
Follow the instructions for submitting comments.
Mail: NIOSH Docket Office, Robert A. Taft Laboratories,
MS-C34, 4676 Columbia Parkway, Cincinnati, OH 45226.
Instructions: All information received in response to this notice
must include the agency name and docket number [CDC-2014-0005; NIOSH-
272]. All relevant comments received will be posted without change to
www.regulations.gov, including any personal information provided. All
electronic comments should be formatted as Microsoft Word. For access
to the docket to read background documents or comments received, go to
www.regulations.gov.
SUPPLEMENTARY INFORMATION:
I. Background
Under 42 CFR Part 84, NIOSH approves RPDs for protection against
inhalation hazards in all occupational settings. The FDA regulates
medical devices that are intended to prevent the transmission of
disease in humans. FDA defines a medical device under Section 201(h) of
the Federal Food, Drug and Cosmetic Act (21 U.S.C. 321(h)).
The Occupational Safety and Health Administration's (OSHA's)
Bloodborne Pathogens regulation specifies masks in combination with eye
protection devices, such as goggles or glasses with solid side shields,
or chin-length face shields, are to be worn whenever splashes, sprays,
spatters, or droplets of blood or other potentially infectious
materials may be generated and eye, nose, or mouth contamination can be
reasonably anticipated. (29 CFR 1910.1030(d)(3)(x)).
The FDA clears surgical masks (e.g., laser masks or procedure
masks) as medical devices,\c\ in that they are intended to prevent
disease. They protect healthcare workers from splashes, sprays,
spatters, and droplets of respiratory secretions, blood and other body
fluids. The FDA may issue a premarket clearance as a medical device
only for certain NIOSH-approved N95 filtering facepiece respirators
(FFRs) assessed for clearance characteristics equivalent to FDA-cleared
masks that are used in the healthcare setting. Currently, the only
medical device classification that can be applied to a NIOSH-approved
respirator is that of a Surgical N95 Respirator.
---------------------------------------------------------------------------
\c\ According to the Food, Drug and Cosmetic Act, the FDA
reviews for clearance medical devices that are intended to cure,
mitigate, treat, or prevent disease in man.
---------------------------------------------------------------------------
FDA regulates NIOSH-approved Surgical N95 Respirators as medical
devices intended for use in healthcare settings under the regulation 21
CFR 878.4040. OSHA has the primary responsibility for enforcing proper
use of RPDs in the workplace, including healthcare settings, as
described in the Respiratory Protection standard (29 CFR 1910.134).
According to section 1910.134, where respirators are required, they
must be NIOSH-approved and used as part of a respiratory protection
program which includes medical evaluation, training, and fit testing
(when applicable). OSHA does not require RPDs used in a healthcare
setting to be cleared by the FDA. Many RPDs used in healthcare settings
have not been submitted by industry for FDA premarket clearance, and
therefore have not been FDA-cleared as medical devices.
There are two general categories of RPDs found in healthcare
settings: (1) Those approved by NIOSH and (2) those approved by NIOSH
and receiving FDA Premarket Notification [510(k)] clearance as a
Surgical N95 Respirator by the FDA. RPDs approved by NIOSH which are
not cleared by FDA include NIOSH-approved N95, P95, and P100 FFRs;
Powered, Air-Purifying Respirators (PAPR); and elastomeric half
facepiece air-purifying respirators. The most common of these is the
N95 FFR. Surgical N95 Respirators cleared by FDA and approved by NIOSH
are N95 FFRs that also meet certain requirements for fluid resistance
per ASTM F1862:2000a and sometimes flammability requirements per 16 CFR
1610 and UL 2154.
Applicability to Pandemic Preparedness
During the early stages of a pandemic, before vaccines are widely
available and the mode(s) of disease transmission are fully understood,
personal protective equipment will be an important component of a non-
pharmaceutical intervention strategy to reduce disease transmission.
Some of the RPDs used as part of the intervention could be RPDs in
frequent or daily use for non-outbreak hazards.
Due to the expected importance of RPD use during a pandemic, the
HHS recommends that healthcare facilities stockpile a 6-8 week supply
of disposable N95 FFRs. However, it has been documented \d\ that the
stockpiling recommendation has been a challenge for healthcare
facilities. Noted barriers to stockpiling N95 FFRs include: lack of
storage space, limited use within normal working parameters, shelf-life
limitations, and working against the typical ``just-in-time'' supply
chains, which only allow for a limited number of on-hand supplies. This
is challenging due to the sheer number of RPDs that will be needed
during a pandemic. According to the CDC, an estimated 90
[[Page 14517]]
million N95 FFRs would be needed to protect healthcare workers during a
42-day pandemic. The rapid increase in RPD usage was apparent during
the 2009 H1N1 pandemic.e f RPD usage may also increase
beyond pandemic recommendations due to concerns about disease
transmission.
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\d\ According to the Food, Drug and Cosmetic Act, the FDA
reviews for clearance medical devices that are intended to cure,
mitigate, treat, or prevent disease in man.
\e\ Bunyan D, Ritchie L, Jenkins D, Coia JE. Respiratory and
facial protection: a critical review of recent literature. J Hosp.
Infect. 2013 Nov; 85(3):165-9.
\f\ Association of State and Territorial Health Officials.
Assessing Policy Barriers to Effective Public Health Response in the
H1N1 Influenza Pandemic. Arlington: Association of State and
Territorial Health Officials; 2010.Generally, N95 FFRs are the
primary choice of respiratory protection over PAPRs or elastomeric
respirators for numerous reasons. They are disposable and therefore
do not require cleaning or reprocessing. They are lighter in weight
and less cumbersome to don and doff as straps are generally not
adjustable; nor are there any filter cartridges to be manipulated.
Also, they are familiar to HCWs because of their resemblance to
surgical masks commonly used in healthcare environments.
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Because of the potential for splashes and sprays (e.g., from a
severed artery, cough, or sneeze), some facilities have selected NIOSH
approved and FDA-cleared Surgical N95 respirators as the primary option
for protecting healthcare workers during a pandemic. However, other
NIOSH-approved RPDs might need to be considered because there may not
be enough of the FDA-cleared devices to protect healthcare workers and
other essential personnel during a pandemic or outbreak.
NIOSH-approved respiratory protective devices that are also FDA-
cleared medical devices are widely used in surgical and non-surgical
healthcare environments. There are reports b c that other
types of NIOSH-approved RPDs that are not FDA-cleared medical devices
are being used as well to protect workers in both surgical and non-
surgical healthcare environments from inhalation hazards. The
desirability of NIOSH incorporating additional requirements and tests
in its 42 CFR Part 84 respirator approval process to parallel the
protections in the FDA clearance process for Surgical N95 Respirators
in surgical and non-surgical healthcare environments has been mentioned
during broad-based and cross-agency planning discussions for dealing
with future pandemics.
NIOSH intends to use this information to consider augmenting the
existing protections of 42 CFR Part 84 to incorporate requirements
included in the FDA clearance process, such as fluid resistance and
flammability. b c NIOSH is seeking public comment on the
desirability of adding requirements and tests in its 42 CFR Part 84
respirator approval process to parallel the protections in the FDA
clearance process.
Both FDA and NIOSH require demonstration of filtration performance.
The current NIOSH filtration testing requirements use non-biological
aerosol based on the assumption that all particles, biological or non-
biological, behave according to the same principles of aerosol physics
for filtration: that is, by impaction, interception, diffusion, and
electrostatic attraction. NIOSH is seeking public comment with
available supporting data that either validates or disproves this
assumption.
Next Steps: NIOSH will determine next steps after all comments are
reviewed and assessed. NIOSH intends to provide an entry to the docket
regarding next steps no later than June 30, 2014.
Dated: March 10, 2014.
John Howard,
Director, National Institute for Occupational Safety and Health,
Centers for Disease Control and Prevention.
[FR Doc. 2014-05611 Filed 3-13-14; 8:45 a.m.]
BILLING CODE 4163-19-P