Regulatory intelligence, compliance gap analysis, and clinical evidence documentation for medical device manufacturers in Asia entering US, EU, and UK markets. Class I through Class IIb non-implantable devices. FDA, EU MDR, and UK MDR. Built by a manufacturer — not an academic consultant.
Class I through Class IIb non-implantable devices. FDA, EU MDR, UK MDR. Any Asian manufacturing base.
Scope boundaries: Our standard service covers Class I through Class IIb non-implantable medical devices. Class III devices, active implantables, and IVD (In Vitro Diagnostics) are outside our standard scope. IEC 62304 software lifecycle documentation review is also outside standard scope — where embedded software is present we identify and flag the requirement. We will always advise honestly during a discovery call if a device falls outside our scope, and can refer to appropriate specialists.
The same three gaps appear in nearly every manufacturer's documentation we review.
IEC 60601-1, EMC, usability engineering, and clinical evidence obligations all apply simultaneously. Most manufacturers discover the full scope mid-process — not before it.
IEC 60601-1 · IEC 62366-1 · EU MDR Annex IArticle 61 and Annex XIV demand substantially more than the old MDD framework. Manufacturers who discover this at notified body stage face costly delays.
EU MDR Art. 61 · Annex XIV · MEDDEV 2.7/1 Rev 4MDCG updates, IEC amendments, and FDA guidance revisions alter compliance requirements continuously. Without active monitoring, you learn about changes after they become problems.
MDCG 2020-1 · IEC 60601-1 · FDA GuidanceOne-time audit, monthly retainer, or clinical evidence documentation — each designed for a specific stage of your regulatory journey.
30-minute, no-obligation conversation covering your device category, classification (Class I, IIa, or IIb active), target markets, and current documentation status.
We define exactly which regulatory frameworks and standards apply to your device — including applicable IEC 60601 particular standards for active devices — and identify the specific gaps to address.
Audit deliverable within 10–15 business days. Retainer clients receive their first monthly briefing within two weeks of onboarding, device-category filtered.
Monthly briefings, gap alerts across regulatory and standards updates, and advisory access keep your compliance posture current as both regulations and IEC standards evolve.
Regulatory pathways from Asia into the three most demanding device markets in the world.
CE marking via notified body. Technical file, clinical evaluation, EUDAMED, UDI, and PMS for Class I–IIb devices.
FDA 510(k) substantial equivalence. Predicate strategy, establishment registration, and device listing.
UKCA marking under UK MDR 2002. MHRA registration, UK Responsible Person, and CE-to-UKCA transition.
Regulatory strategy and submission preparation for early-stage companies without full-time regulatory affairs resource.
I am not an academic consultant. I spent 25 years running ISO 13485-certified manufacturing for export to Europe and North America — managing technical files, notified body audits, and the gap between what regulators require and what manufacturers actually have prepared.
That background is the foundation of this service. I know what a technical file looks like from the inside, what a notified body auditor is looking for, and what a compliance gap costs when it surfaces at submission stage.
"I built this service because I know exactly what it costs a manufacturer to discover a documentation gap at notified body stage — and how avoidable it almost always is."— Aqeel Abbas, Founder · VerityNodes Ltd
A structured self-assessment tool mapped to specific EU MDR articles, annexes, and MDCG guidance documents. Covers QMS, technical file, clinical evidence, labelling, risk management, PMS, UDI, and EUDAMED requirements. Use it to assess where your documentation stands before engaging a notified body — regardless of your device type.
Send us an enquiry. We will identify which regulatory frameworks and standards apply to your device, tell you honestly what the documentation gaps look like, and recommend the right starting point.
No obligation. No sales pressure. A direct conversation about your device and regulatory situation.