FDA PCCP Guidance for AI-Enabled Devices: Document Record, Version History, and Current Status (Q2 2026)

FDA (CDRH and CBER)Final guidance

A structured regulatory tracker record for FDA docket FDA-2022-D-2628 — the Predetermined Change Control Plan guidance for AI/ML-enabled device software functions — documenting its statutory origin, the material changes from the April 2023 draft to the December 2024 final and August 2025 update, adoption data, and open companion document status as of Q2 2026. Intended for regulatory professionals, policy researchers, and SaMD developers who need a primary-source-anchored reference for this specific guidance document's lifecycle.

Document Identification

Document identification fields for FDA docket FDA-2022-D-2628. Verify current posting against the FDA guidance page, which reflects the August 2025 update.
FieldValue
Docket NumberFDA-2022-D-2628
Issuing CentersCDRH and CBER (joint)
Document TypeFinal Guidance (with August 2025 update)
Current StatusFinal — operative as of December 2024; updated August 2025
Applicable Submission PathwaysTraditional 510(k), Abbreviated 510(k), De Novo, PMA
Excluded PathwaySpecial 510(k) — explicitly prohibited by final guidance
JurisdictionUnited States
Primary FDA SourceFDA Guidance: Marketing Submission Recommendations for a Predetermined Change Control Plan for Artificial Intelligence-Enabled Device Software Functions

Statutory Foundation: FDORA 2022 and FD&C Act Section 515C

The FDA's authority to authorize Predetermined Change Control Plans as part of premarket submissions derives from a specific legislative act, not from preexisting FDA discretion. The Consolidated Appropriations Act of 2023, which included the Food and Drug Omnibus Reform Act of 2022 (FDORA), was enacted on December 29, 2022. Section 3308 of FDORA inserted Section 515C into the Federal Food, Drug, and Cosmetic Act (FD&C Act).

Section 515C is titled "Predetermined Change Control Plans for Devices" and establishes the statutory framework within which the PCCP guidance operates. Prior to this enactment, FDA had no explicit statutory basis for accepting a plan for future device modifications as part of an initial premarket authorization — the PCCP mechanism existed only as a policy concept in FDA discussion papers and action plans.

The statute imposes one constraint with direct implications for competitive device strategy: only the version of a device that existed before any PCCP-authorized modification may serve as a predicate device in a subsequent 510(k) submission. Post-modification versions of a device are disqualified from predicate use. This constraint is structural — it prevents manufacturers from using a continuously updated AI device as a moving predicate baseline for competitors.

  • Statutory authority: FDORA 2022, Section 3308 — inserting FD&C Act Section 515C
  • Effective date of statutory authority: December 29, 2022 (date of FDORA enactment)
  • Predicate constraint: only the pre-modification (pre-PCCP) device version may serve as a 510(k) predicate
  • Scope of authority: applies to 510(k), De Novo, and PMA submission pathways
  • Pre-statutory history: PCCP concept existed in 2019 discussion paper and 2021 Action Plan, but without legislative backing

Regulatory Chronology

Navy blue horizontal timeline of FDA PCCP guidance lifecycle showing nodes for FDORA 2022, April 2023 Draft, Public Comment period, December 2024 Final, and August 2025 Update
The FDA PCCP guidance lifecycle from statutory foundation through the August 2025 updated final. The April 2023 draft (docket FDA-2022-D-2628) was the first formal specification of PCCP requirements for AI-enabled devices.
Complete developmental chronology for FDA docket FDA-2022-D-2628 and directly related predecessor documents, 2019 through Q2 2026. Documents marked 'draft' remained in draft status as of the record date.
DateDocument / EventSignificance
2019FDA Discussion Paper: Artificial Intelligence and Machine Learning in Software as a Medical DeviceFirst public articulation of a predetermined change control plan concept for AI/ML SaMD; no formal regulatory status
January 2021FDA AI/ML-Based SaMD Action PlanCommitted FDA to developing a PCCP framework as one of five action items; referenced Good Machine Learning Practice (GMLP) as a parallel workstream
October 2021Good Machine Learning Practice (GMLP) Guiding PrinciplesJoint FDA/Health Canada/MHRA principles establishing foundational expectations for ML-enabled medical devices; contextual precursor to PCCP requirements
April 2023Draft Guidance: Marketing Submission Recommendations for a Predetermined Change Control Plan for AI/ML-Enabled Device Software Functions (Docket FDA-2022-D-2628)First formal FDA guidance document specifying PCCP requirements; scoped to ML-enabled devices only; opened 90-day public comment period
October 2023Joint FDA/Health Canada/MHRA Guiding Principles for Good Machine Learning Practice (updated)Companion international principles update; not a US-only regulatory action
August 2024Draft Guidance: Predetermined Change Control Plans for Medical Devices (all device types)Broader PCCP framework draft extending beyond AI/ML devices to all medical device types; remained in draft as of Q2 2026
December 2024Final Guidance: Marketing Submission Recommendations for a Predetermined Change Control Plan for Artificial Intelligence-Enabled Device Software FunctionsOperative final guidance; expanded scope from ML-only to all AI-enabled devices; added definitions aligned to Biden EO on AI; added labeling, diversity, and combination product provisions; prohibited Special 510(k) pathway
January 2025Draft Guidance: Lifecycle Management Considerations for AI-Enabled DevicesCompanion document addressing post-market modification management; remained in draft as of Q2 2026
August 2025Updated Final Guidance (same docket, FDA-2022-D-2628)Current operative version as of Q2 2026; exact scope of changes from December 2024 version not fully characterized in public secondary sources — verify against FDA guidance page

Draft-to-Final Comparison: Six Key Changes

Two-column regulatory comparison matrix contrasting April 2023 Draft against December 2024 Final across six dimensions: Scope, Definitions, Labeling, Diversity Requirements, Combination Products, and Submission Pathway
Material changes from the April 2023 draft to the December 2024 final guidance across six regulatory dimensions. The August 2025 update may reflect additional modifications not captured here.

The April 2023 draft and the December 2024 final guidance share the same docket number but differ materially across six dimensions. These differences are not editorial refinements — they represent substantive changes in scope, definitional alignment, and submission requirements that affect how manufacturers structure PCCP submissions.

Comparison of April 2023 draft and December 2024 final guidance across six material dimensions. The August 2025 update may introduce additional changes not reflected here.
DimensionApril 2023 DraftDecember 2024 FinalRegulatory Significance
ScopeLimited to ML-enabled device software functionsExpanded to all AI-enabled device software functions, including rule-based and non-ML AI systemsManufacturers of non-ML AI tools (e.g., rule-based clinical decision support classified as AI) now fall within scope
DefinitionsAI/ML terminology based on prior FDA guidance and internal usageDefinitions aligned to the Biden administration's October 2023 Executive Order on Safe, Secure, and Trustworthy AICreates definitional dependency on a Biden EO that was subsequently rescinded in January 2025; policy context requires monitoring
Labeling RequirementsGeneral labeling expectations referencedAdded mandatory obligations for manufacturers to notify users when PCCP-authorized modifications are implementedIntroduces a positive update-notification duty not present in the draft; affects post-market labeling workflows
Diversity and EquityNot specifically addressed as a standalone requirementAdded explicit requirements for manufacturers to address performance across diverse patient populations in PCCP methodology sectionsOperationalizes FDA's broader AI equity policy position as a submission requirement, not merely a recommendation
Combination ProductsLimited treatment of combination product scenariosAdded detailed provisions for AI-enabled combination products (device + drug or device + biologic)Addresses a gap that affected manufacturers of AI-enabled drug-device combinations and diagnostic-therapeutic combinations
Submission PathwaySpecial 510(k) pathway not explicitly addressedExplicitly prohibited: PCCPs may not be submitted through the Special 510(k) pathway; restricted to traditional 510(k), abbreviated 510(k), De Novo, and PMAEliminates a potential efficiency pathway; manufacturers must use traditional or abbreviated 510(k) routes for PCCP submissions

Current PCCP Requirements: Three Required Sections

Under the final guidance, a conforming PCCP submission must contain three substantive sections. This record summarizes each section's function; manufacturers preparing PCCP submissions should consult the full guidance document and the existing site reference on the PCCP framework for submission-level detail.

  1. Description of Modifications: A specific, bounded description of the types of modifications the manufacturer anticipates making to the AI-enabled device software function. This section defines the envelope of what the PCCP authorizes — modifications outside this description require a new premarket submission.
  2. Methodology for Implementing and Validating Modifications: The technical and procedural methods the manufacturer will use to implement each modification type and verify that the modified device continues to meet its intended use and performance specifications. This section must address the diversity and equity population requirements added in the final guidance.
  3. Methodology for Monitoring Performance: The post-deployment surveillance methods the manufacturer will use to monitor the device's real-world performance after modifications are implemented. This section connects the PCCP to post-market obligations and must be consistent with the manufacturer's broader Quality Management System.

Adoption Data and FDA Database Status

PCCP adoption among AI/ML device manufacturers has been measured in two ways: counts of authorized devices with PCCPs, and FDA's own database infrastructure for tracking PCCP status. Both data sources carry important limitations.

Based on FDA data cited in peer-reviewed literature, approximately 53 medical devices had authorized PCCPs as of the end of 2024. Of these, approximately 15 were AI/ML-enabled devices. These figures reflect the period when the April 2023 draft guidance was operative — the December 2024 final guidance had not yet taken effect for most of this period.

In May 2025, FDA added a dedicated PCCP search feature to its 510(k), De Novo, and PMA submission databases. This infrastructure change allows users to filter authorized devices by PCCP status — a capability that did not previously exist in the public-facing database. The addition enables more systematic tracking of PCCP uptake over time and supports the kind of cross-referencing this site's device registry is designed to support.

PCCP adoption data as of Q2 2026. All figures require verification against primary FDA sources before use in regulatory or policy contexts.
Data PointValueSource DateLimitation
Total devices with authorized PCCPs (all types)~53End-2024Secondary literature citing FDA data; verify against current FDA database
AI/ML-enabled devices with authorized PCCPs~15End-2024Subset of above; same sourcing caveat applies
FDA PCCP database search feature addedMay 2025May 2025Infrastructure change; does not directly indicate new PCCP authorizations
Specialty distribution of PCCP-authorized devicesNot systematically available in public sources as of Q2 2026FDA database may support manual extraction but no aggregate breakdown confirmed

Companion Documents and Open Items

The final guidance for AI-enabled devices (docket FDA-2022-D-2628) does not operate in isolation. Several companion documents affect how the guidance functions in practice, and several open policy questions remain unresolved as of Q2 2026.

  • January 2025 Draft — Lifecycle Management Considerations for AI-Enabled Devices: Addresses how manufacturers should manage post-market modifications to AI-enabled devices, including the relationship between PCCP-authorized changes and broader lifecycle obligations. Remained in draft as of Q2 2026; comment period closed but final guidance not yet issued.
  • August 2024 Draft — Predetermined Change Control Plans for Medical Devices (all device types): Proposes a PCCP framework applicable to all medical device types, not only AI-enabled devices. Remained in draft as of Q2 2026. Until finalized, the AI-specific final guidance (docket FDA-2022-D-2628) remains the operative document for AI/ML SaMD manufacturers.
  • Q-Submission (Pre-Submission) Pathway: FDA guidance encourages manufacturers developing novel or complex PCCPs to use the Q-submission program to obtain FDA feedback before formal submission. This dependency is not explicit in the statutory text but is a practical operational constraint for manufacturers with first-of-kind PCCP designs.
  • QMS Integration Gap: The final guidance references Quality Management System integration for the performance monitoring section of a PCCP, but the specific QMS requirements for AI-enabled devices remain addressed only in non-binding guidance. No final rule has codified QMS obligations specific to AI/ML SaMD as of Q2 2026.
  • FDA Guidance — Marketing Submission Recommendations for a Predetermined Change Control Plan for Artificial Intelligence-Enabled Device Software Functions (Docket FDA-2022-D-2628, current version August 2025): fda.gov/regulatory-information/search-fda-guidance-documents — search docket FDA-2022-D-2628 for the current posting
  • FDORA 2022 Statutory Text — FD&C Act Section 515C: Consolidated Appropriations Act of 2023 (P.L. 117-328), Division FF, Title III, Section 3308, enacted December 29, 2022
  • FDA AI-Enabled Medical Devices List: fda.gov/medical-devices/software-medical-device-samd/artificial-intelligence-and-machine-learning-aiml-enabled-medical-devices — primary source for device-level PCCP authorization data
  • August 2024 Draft Guidance — Predetermined Change Control Plans for Medical Devices (all device types): Available via FDA docket search; remained in draft as of Q2 2026
  • January 2025 Draft Guidance — Lifecycle Management Considerations for AI-Enabled Devices: Available via FDA docket search; remained in draft as of Q2 2026
  • FDA 510(k), De Novo, and PMA Databases (PCCP search feature added May 2025): accessdata.fda.gov/scripts/cdrh/cfdocs/cfpmn/pmn.cfm — 510(k) database with PCCP filter

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