Tool · 510(k)

510(k) Predicate Finder

Find potential predicate devices for your 510(k) submission. Enter a K-number to find all clearances with the same product code, a three-letter product code to browse clearances directly, or search by device name.

Product Code: KSR FDA class 2

Container, Empty, For Collection & Processing Of Blood & Blood Components

Hematology

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This device is an empty container used for the collection and processing of blood and blood components, including bags and associated tubing sets intended to hold whole blood, red cells, plasma, or platelets during collection, preparation, or storage for transfusion. It is classified as FDA Class 2, indicating moderate risk, and requires 510(k) premarket notification. The product code is KSR, regulated under 21 CFR 864.9100 within the Hematology specialty. No special flags apply.

510(k) Clearances

16 matches
K Number
Device Name
KENDALL LIFETRACE UMBILICAL BLOOD COLLECTION KIT, CODE 56501
DEROYAL SURGICAL, UMBILICUP
BLOOD FREEZING BAG
ALPHA PLASTIC PLASMA BOTTLE
PLASMA FLEX
HAEMONETICS 1000ML COMPONENT BAG
HAEMONETICS 600 ML. COMPONENT BAG
HAEMONETICS 1400 ML THERAPEUTIC BAG
GAMBRO HEMOFREEZE-BAG
PLASMAPOOLER
PHARMAFLEX CRYOGENIC BAG
PIASMA SAFE
EMPTY TRANSFER BAG
TRANSFER PAK 4R 9006
CRYOCYTE PACK
TERASAKI LYMPHOCYTE TRANSPORT KIT

What is a Predicate Device?

A predicate device is a legally marketed device that a new 510(k) applicant uses to demonstrate substantial equivalence. The FDA's 510(k) pathway requires manufacturers to show that their device has the same intended use and similar technological characteristics as one or more predicate devices already cleared for commercial distribution.

Finding the right predicate is a critical step in 510(k) strategy. Manufacturers typically search for cleared devices with the same FDA product code, which groups devices by their intended use and regulatory classification. This tool helps you identify potential predicates by browsing all clearances within a product code.

Note that predicate devices must be legally marketed — they cannot be devices that were cleared but never commercialized, or devices subject to a mandatory recall. The determination of substantial equivalence considers intended use, technological characteristics, and performance data.

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