Key Pitfalls & Best Practices for AI/ML-Enabled SaMD / SiMD Under Current FDA Thinking
The FDA’s Digital Health Center of Excellence (DHCoE) is rapidly tightening expectations for AI/ML, SaMD, and software quality systems. Over the next year, these updates will directly influence how developers build, validate, and maintain digital health technologies. For MedTech teams, the message is clear: stronger documentation, clearer risk controls, and mature software lifecycle practices are becoming essential… not optional.
Below is a breakdown of the major DHCoE initiatives influencing 2026 MedTech innovation and what they mean for software teams navigating regulatory expectations.
Over the last two years, the Digital Health Center of Excellence has expanded its focus on AI/ML-enabled medical devices, with several key trends emerging.
Stronger expectations for transparency, documentation, and traceability
FDA is reinforcing that AI/ML models must be:
Trained on well-characterized, representative datasets
Documented with full data lineage and model development history
Verified and validated under risk-based, traceable methods
Supported by explainability commensurate with device risk
This shift aligns with Good Machine Learning Practices (GMLP) and signals FDA’s move away from accepting “black box” systems. Developers should expect deeper methodological scrutiny in premarket reviews.
Why this matters for MedTech teams
Teams lacking structured software lifecycle processes and AI-specific risk controls will see longer review cycles and more requests for information. Mature documentation and QMS integration will become strategic advantages.
DHCoE continues to develop and refine expectations for Predetermined Change Control Plans, a mechanism that allows certain algorithm updates without repeated submissions.
The latest updates emphasize:
Why PCCPs matter in 2026
PCCPs offer speed and flexibility, but only for teams prepared to meet the documentation and monitoring burden.
Without strong QMS foundations, PCCPs can be difficult to execute effectively.
The Digital Health Center of Excellence is pushing for greater rigor across the entire SaMD lifecycle.
a. Deeper documentation expectations
FDA reviewers increasingly expect:
b. Stronger alignment with global standards
SaMD submissions are expected to follow:
This trend supports global harmonization and reduces ambiguity across markets.
c. Higher expectations for postmarket performance
FDA is emphasizing:
To support digital health developers, DHCoE has expanded several tools and programs:
These resources signify FDA’s long-term commitment to providing clearer, more predictable pathways for digital innovation.
Across all DHCoE initiatives, the message is consistent:
FDA expects greater software maturity, more rigorous documentation and deeper lifecycle control from digital health manufacturers
Teams investing in:
…will navigate 2026 with fewer surprises and faster review cycles.
Teams who continue treating quality as a regulatory checkbox will face slower approvals, remediation risk, and costly delays.
As DHCoE continues to define the future of digital health, the teams that win will be those who invest in scalable, compliant systems now… not after FDA asks for them.
If you’re building AI/ML or SaMD products and want to ensure your development, documentation, or submission strategy aligns with the FDA’s 2026 expectations, our team is here to help.
Contact Rook Quality Systems Today!