Archive for the ‘Standards and Guidelines’ Category

Virtual Microscopy – Real Regulations

February 29, 2012

 

Nice read by Dr. Stacey Mills over at Pathology Network (Pn Blog). A recognized expert in surgical pathology and director of such at the University of Virginia, he writes, "It seems somewhat surprising, at least to me, that a technique based on standard light microscopy, with microscopes being essentially unregulated, Class I devices, should be given the "highest risk" class III rating." Vendors will have to speak to this at upcoming USCAP meeting.  I hope the word "surprise" is not in their vocabulary given statements made on this topic back at the FDA panel meeting in 2009 and inviting the FDA back to Pathology Visions for guidance on the subject.

The lead article in the January 2012 issue of CAP Today addresses the pending FDA regulation of whole slide imagers (WSI's). The FDA has concluded dthat these devices are "Class III" medical devices, and as such are subject to considerable federal regulation (compared to Class I and II devices).  Depending on your perspective, this is either a good thing for patient safety or the death knell for rapid development, certification and deployment of these devices in the United States, with many companies looking elsewhere for testing and validation).
 
By way of quick review, Class I devices are lowest risk and require no pre-market notification.  Your light microscope is, believe it or not, classified as a Class I device.  Class II devices are considered "moderate risk" and are usually based on modifications of prior approved devices or techniques.  Class III devices are considered "highest risk" and such devices require premarket FDA approval, quality controls, etc. Automated cytology screeners, for example, are Class III devices. The FDA has said that WSI's belong in this category as well.
 
It seems somewhat surprising, at least to me, that a technique based on standard light microscopy, with microscopes being essentially unregulated, Class I devices, should be given the "highest risk" Class III rating.  Although the rationale for that decision may be difficult to fathom, it has, in fact, been made and is highly unlikely to be reversed.
The fact that the FDA has even been reviewing WSI's and has decided to regulate them as "highest risk" Class III devices, may come as a surprise to most end-user pathologists since the topic of regulation is understandably not a major one at trade shows where vendors try to sell these devices.  It certainly isn't a topic the vendors themselves are likely to bring up, at least until now.
 
Although the FDA has been less than specific in discussing their thinking, they have indicated that they have concerns about image quality when compared to standard light microscopy, and the effect of navigating on a computer screen v. moving a slide on a microscope.  It is even unclear whether WSI's might be approved for a certain TYPE of specimen or group of diagnoses and not for other types or groups.  Might it be approved for small core biopsies and not for big tissue blocks?  Might it not be approved for hematologic malignancies, where the diagnosis often requires viewing large areas at relatively high magnification, something that is more difficult with a WSI?  At this point, no one knows.  Clinical trials comparing the accuracy of WSI's v. traditional microscopy will be difficult to construct and time consuming to perform, but will likely provide the data to answer these questions.
 
Given the FDA's pace of action in regard to other issues, it's now expected that it may take up to five years for the first devices to be approved in the United States, with Aperio likely to be among the first.  Some companies will most likely concentrate their efforts in Europe where the approval process (and subsequent sales) are likely to be much more rapid.
 
There are many unanswered questions at this early juncture, but it does seem clear that buying and using a WSI for clinical (not research) diagnosis would not be a prudent move at this point in time.  If you are currently using a WSI for primary clinical diagnosis, you had better have "state of the art" (whatever that is!) validation policies in effect, and even then your CLIA or CAP inspection is likely to be problematic.   Even when these instruments gain approval, their use for diagnosis at a distance will fall under the highly diverse state laws regarding telemedicine.  A topic I covered in one of my early blogs, "Down the Telepathology Rabbit Hole."

Published: 2/27/2012

Read more…

 

 

Mills

Stacey E. Mills, MD, a graduate of University of Virginia (UVA) and the UVA Medical Center, has authored nearly 230 articles, 20+ books, atlases and monographs—including the renowned Sternberg's Diagnostic Surgical Pathology. He has been a practicing Professor and Staff Pathologist at UVA for 30+ years and is Director of Surgical Pathology and Cytopathology. His clinical specialty is general surgical pathology with emphasis on neoplasms and neoplasm-like lesions. Dr. Mills is also Editor-in-Chief of The American Journal of Surgical Pathology.

 

Digital Health NOW Spotlight Report: The Evolving Field of Digital Pathology

February 26, 2012

Research and Markets has announced the addition of the "Digital Health NOW Spotlight Report: The Evolving Field of Digital Pathology" report to their offering.

"Digital pathology is a disruptive technology; however, the consensus is that digital pathology is clearly our future. This iteration of Branham's Digital Health NOW Spotlight report takes a look at the emerging Digital Pathology market segment in health care. The report provides an overview and a general understanding of Digital Pathology rather than a detailed discussion of underlying technologies and vendors.

Digital pathology is rapidly gaining momentum as a proven and essential technology that is helping to reduce laboratory expenses, improve operational efficiency, enhance productivity and improve treatment decisions and patient care. It is used worldwide in drug development, reference lab, hospital, and academic medical centre settings. Applications include education, research, image analysis, archival and retrieval, LIS/LIMS integration, secondary consultations and virtual slide sharing. However, widespread adoption of digital pathology has been hindered not only by cost and technical factors but also largely by the mind set of technophobic pathologists.

Key Topics Covered:

What is Digital Pathology?

  • Steps in Digital Pathology
  • Scanning
  • Quantitative Analysis and Computer-Assisted Image Data Mining
  • Pathology Image Management and Storage

Benefits of Digital Pathology

  • Dramatic Reduction in Misdiagnosis
  • Remote Diagnosis and Support
  • Educational Benefits

Market Trends

  • Evolving Market
  • Validation is Still Incomplete
  • Archival and Retrieval Systems
  • Regulatory Challenges
  • Sluggish Growth
  • Lack of Standards
  • Telepathology
  • Vendor Landscape

Final Thoughts

For more information visit: 

 http://www.researchandmarkets.com/research/548166/digital_health_now

 

 

Blog App to be Launched

February 5, 2012

Coming to an iPhone near you soon.  The Digital Pathology Blog App.  Look for iPad and Android OS versions to follow.  Stay connected and up to date from your mobile device to the blog with Twitter (@tissuepathology) and Pathology 2.0 Facebook (http://www.facebook.com/pathology2.0) tabs.

DPBcopy 

IMG_0097

 

 

 


Regulators regulating digital scanners

January 24, 2012

In the words of Harry Caray – "Holy Cow!"  Karen Titus does an excellent job putting together this piece. Who else could use "Gentlemen, start your turtles", "Alan Greenspan" and also work in "From that perspective, a Class III, or even a Class II, classification, is overkill—like dropping a V8 engine into an Amish buggy" in the same article.

Turtle jockey

So much blog fodder here I have copied the entire article available for free from CAP Today with my comments below on some of my thoughts on this matter.

Courtesy of CAP Today - Regulators scanning the digital scanners by Karen Titus

A recent panel on whole-slide imaging launched a clear message from the Food and Drug Administration: The agency views WSI systems as Class III medical devices and plans to regulate them as such. Gentlemen, start your turtles.

- The FDA has about 1 million pages that are surprisingly easy to navigate on their website including a "How to Classify Your Device Page".  If I am reading this correctly, microscopes are Class I devices, as are colposcopes to diagnose cervical dysplasia and cancer, ditto for stethoscopes, holders for artificial heart valves and some defibrillators are Class 2 (roman numerals should only be used for really important things like Super Bowls). Defibrillators [CITE: 21CFR870.5300] are Class 2! 360 joules of energy that could save your life in a moment or cause death if you do not respond to the TV "CLEAR!". And a slide scanner is Class 3 because?  Oh, image quality, right. Apparently the FDA didn't look through the microscope I used today.  It was like rice crispies were stuck to the lenses. I am sure the article will provide clear detail on why and how these are Class 3 devices.  Let's read on.

While the FDA’s decision was clear, the next steps are anything but. Vendors, pathologists, the FDA, and the Centers for Medicare and Medicaid Services could head in any number of directions next, but they won’t be moving swiftly. In fact, those who were at the meeting are still dissecting the information presented at the panel, as if Alan Greenspan had delivered one of his famously tortured pronouncements from the Federal Reserve.

- Yeah, but unemployment was lower, at a nadir (don't get to use that word often) of 4% in the 1990s.  Double digit unemployment, financial collapse, Greece, Spain, housing crisis, fall of Lehman, etc… he only predicted once he started doing stand up to not be forgotten when the oft jovial and always comical Bernake took the chairmanship. Those tortured pronouncements in retrospect weren't as bad as this.

Depending on one’s view, the news will slow efforts to bring WSI for primary diagnosis into U.S. laboratories, with some vendors looking to Europe for regulatory relief; have virtually no impact on large vendors, who, while not necessarily enamored of the FDA’s decision, concede it’s one they can live with; kill the market completely; choke innovation among vendors, especially component makers; possibly put laboratories in jeopardy if they try to validate these systems as laboratory-developed tests under CLIA; or encourage laboratories to use WSI for other, already approved purposes, readying themselves for the inevitable day when whole-slide imaging transforms surgical pathology.

- Sprechen Sie Deutsch? - Come è il tuo italiano?

- I predict no impact, no choking, killing, or jeopardy or pocket translators needed to replace US sales; pathologists are conservative folks with supportive industry innovators and inventors; we will test, test and re-test, then test again and we will transform safely and accurately. 

What most agree on is that for the first time, the FDA, which regulates the vendor portion of the vendor-laboratory equation, has “put a stake in the sand regarding digital pathology,” says David Wilbur, MD, professor of pathology, Harvard Medical School, and chair, CAP Technology Assessment Committee.

Note that the stake is in sand. “I suspect there’s going to be a whole lot of give-and-take that comes about in the future,” says Dr. Wilbur, who was in the audience at the panel discussion, held at the annual Digital Pathology Association meeting last fall in San Diego.

In a follow-up interview with CAP TODAY, the FDA’s presenter on the panel, Tremel Faison, noted that her remarks reflect the agency’s current thoughts on digital pathology as it works through the issues, rather than an official announcement. “We anticipate eventually having another public meeting, and/or publishing the guidance,” possibly in the next year, she says.

- I think a formal document would minimize confusion on this matter and time is of the essence, particularly since this issue was first addressed in public forum in October of 2009 and mention of pre-market requirements was stated at that time which are similar in many ways to slides and comments from a few months ago. 

Download Faison_DPDevicesPanelMeeting2009

Nonetheless, this was not the usual runic message coming out of a federal bureaucracy. Faison, a former cytotechnologist who is now a regulatory scientist in the FDA’s Office of In Vitro Diagnostics, drew praise from those at the meeting. “There was some clarity from the FDA,” says Walter H. Henricks, MD, who represented the CAP on the panel. Until now, he says, industry and labs have largely been in the dark about how the FDA planned to regulate WSI systems for primary diagnosis. “This was the biggest piece of news coming out of the panel — and it was a big piece of news, even if not entirely unexpected,” says Dr. Henricks, medical director, Center for Pathology Informatics, and staff pathologist, Pathology and Laboratory Medicine Institute, Cleveland Clinic.

- A few editor's notes at this point: Tremel taught me everything I know about cytology as a pathology resident at The National Naval Medical Center (now The Walter Reed National Naval Medical Center) and I know she is doing what she can on this and we will all come out the other end better for doing so. I made some comments in November regarding what the CAP did, should have done and could do to help facilitate what is mentioned below as a several year process.  See:

http://www.tissuepathology.com/weblog/2011/11/did-the-cap-do-enough-for-digital-pathology-and-discussions-with-the-fda.html

http://www.tissuepathology.com/weblog/2011/12/what-pathologists-and-the-cap-can-do-to-assist-with-pma-process.html

The Class III label is used for devices the FDA deems as highest risk; to be approved, such devices require general controls (such as quality system regulation and good manufacturing procedures) and premarket approval. A lower level of clearance, Class II, refers to moderate risk devices that already have a predicate device on the market. The lowest-risk device, Class I, requires no pre-market notification.

Dr. Henricks sees no gain in dwelling on the FDA’s reasoning in classifying WSI systems as Class III. “The facts are what were presented,” says Dr. Henricks, who is also a member of the CAP’s Council on Accreditation and of the Diagnostic Intelligence and Health Information Technology Committee.

- In seeking absolute truth we aim at the unattainable and must be content with broken portions.

- One of the first duties of the physician is to educate the masses not to take medicine.

Sir William Osler

A couple of the larger vendors also show an unwillingness to engage in debate; they prefer to keep plugging away, like infantrymen, to bring their systems to market. The Class III announcement barely made them look up. And while it may have opened a door, no one expects to pass through it anytime soon. The last time the FDA participated in a public forum to discuss WSI regulation was 2009, says Dirk Soenksen, president of Aperio. At that time, observers say, the agency appeared to be gathering information. “Now, two years later, we’re finally able to hear some of the learnings they’ve digested. That shows you the pace at which FDA is working,” says Soenksen, who was at the recent DPA panel.

- A snail's pace?  Already used "turtle" twice in this post.  Besides, he beats the hare so not sure we are good using turtle (OK, 4 times in this post).

Soenksen says the Class III label didn’t surprise him. “But the fact that it surprised some shows you the confusion that exists in the marketplace,” he says.

The confusion exists even at the most basic level, particularly among those who think the FDA’s regulatory hand smacks a little too hard. Faison says she’s routinely asked about the agency’s reach by those who say the microscope isn’t regulated—and since it’s not, they argue, why should devices performing similar functions be tightly regulated? From that perspective, a Class III, or even a Class II, classification, is overkill—like dropping a V8 engine into an Amish buggy.

In fact, Faison explains, microscopes are regulated as Class I devices. That astounds some pathologists, who think, “Nobody regulates my microscope . Why would they regulate my scanner? It’s doing the same thing,” says Anil Parwani, MD, PhD, who spoke at the DPA meeting about the CAP’s recommendations for validating WSI. Digital pathology may be a familiar topic, having been around for a decade or so, but until now regulatory oversight hasn’t been a big part of the conversation.

That’s especially true at trade shows, says Dr. Parwani, where the mushrooming presence of digital devices over the last five years is devoid of anything as mundane as regulatory information. “Not many people know that FDA is even looking at regulating whole-slide imaging,” says Dr. Parwani, division director of pathology informatics, University of Pittsburgh Medical Center.

Those who expected WSI systems to be Class II devices can debate all they want, Soenksen says, but, “That ship has sailed. They’ve made up their mind that this is a Class III, which is why most people are going to Europe with this technology, not the U.S.”

For vendors committed to the U.S. market, the pace to market will be somewhat stately. “You’re talking five years at the earliest when someone’s going to get an approval,” Soenksen says. “People don’t like to face up to that truth, but that’s the timeline.” The FDA will need to clear a vendor to do a clinical study; the vendor will need to do the study; and the FDA will have to approve the PMA.

- Propose 5 pathologists, 5,000 cases, 5 days to achieve "ground truth/panel/consensus disgnosis", then 5 different pathologists each looking at 1,000 cases on both screen and (exempt) microscopes with 5 week washout.  Get cheap monitors from BestBuy as to establish minimal technical equipment needed and microscopes with rice krispies dessicating on objectives, typical of many clinical laboratories to replicate "real life".  5 years too long.  Eli and Tom will be in the Superbowl again.

Faison declined to comment on when the FDA anticipated receiving vendor submissions.

- After football season is over and before baseball begins.  Also known as "February".

Aperio had been talking with the FDA about clinical studies even before the Class III announcement, and it hopes to have an acceptable study design soon. “We’re going to be the first company to get FDA approval,” Soenksen predicts.

Another large vendor, Omnyx, has been in talks with the FDA as well, says Michael Montalto, PhD, one of the company’s founders and vice president of clinical and regulatory affairs. The Class III billing didn’t surprise him, either. “We have a pretty good sense of what we need to do,” says Dr. Montalto, who also attended the panel. “But that’s not as a result of the announcement—it’s because of our continued back and forth with the FDA.”

Dr. Montalto puts a positive spin on the news. “The device will be safe when it comes out. You have to be happy about that.”

- The best interest of the patient is the only interest to be considered

William J. Mayo

Safety, after all, is at the heart of the Class III label. Listing the potential risks of WSI systems, Faison says, “We’re very concerned that the image quality is as good or better than when using the light microscope. Is it like that for all surgical pathology specimens or only for a segment of surgical pathology specimens? What are the differences in human interaction between viewing under the microscope and navigating on the computer screen?”

To answer such questions, the FDA will require clinical studies to validate performance. Here’s where confusion re-enters the room, forcing players to engage in, if not quite brinkmanship, at least a little blinkmanship.

It’s not clear, for example, what types of clinical studies vendors will need to conduct as part of their PMA submissions. Faison gave some general guidelines at the panel, but until the agency receives its first vendor submission, the FDA’s specific desires are likely to be a mystery. “We don’t have all the answers,” Faison says. The more specific vendors can be with their proposed clinical studies, observers say, the easier it will be for the agency to decide whether to grant a green light.

Another unanswered question: How broad or narrow can an intended use be? Will approval be given for diagnosing, say, breast cancer, but not colon cancer? Prostate biopsies but not endometrial biopsies? Or cancer, but not inflammatory skin conditions? “A huge question,” Dr. Henricks says. “I wish I could give you more clarity. I wish I could give me more clarity.”

“This is a tough question,” Faison says. “We don’t want to see a submission for just one organ system—say, breast.” That’s not a realistic intended use, she says, “and we realize that a laboratory would not buy for just that indication.

“On the other hand,” she continues, “performing a study for all of surgical pathology, including frozens, special stains, etc., would be one huge and hardly manageable submission. We are encouraging sponsors to take a hard look at how these devices will most likely be used in the laboratory, employ a ‘fit for purpose’ mentality, and frame their intended use (and therefore clinical studies) around that.” She adds that vendors will need to define the physical and technical characteristics, such as focus, resolution, and color, prior to beginning their clinical studies; in addition, they’ll need to look at what she calls a clinically balanced population.

- Paul Valenstein, MD I think gives the best talk on the issues raised in the last 6 paragraphs.  I heard him speak on these issues at a talk several of us gave at USCAP last year.

Download Valenstein_companion06handout

I recall something about needing 65,000 cases but not hemepath, cytology or pigmented lesions

Vendors are dropping few clues themselves. Regarding Aperio’s submission, “It will be as broad as FDA allows it to be,” Soenksen says, punctuating that sentence with laughter.

Vendors are struggling with this issue, Dr. Montalto says, and some are irked that they’ll need to make the first move. But he reminds his industry colleagues that this is a relatively new field. Previous summary statements and clearances aren’t useful guides; every device will have its own nuances, and it’s up to vendors to discuss them with the FDA. “I think they learn a lot from their discussion with vendors. They’re getting educated on this process, too,” he says.

While vendors and the agencies continue their parry, Soenksen sees an opportunity for pathologists to step up. “My personal view is the College needs to lead this,” he says. He suggests that the FDA is looking for cover from the pathology community—if pathologists, and the CAP, made it clear they support WSI and are ready to use it, he says, the FDA would feel more comfortable bringing the systems to market.

The FDA has also irked some pathologists, Dr. Montalto observes, though he speaks diplomatically, gently pointing out that the AP community, in comparison to CP and other clinical specialties, may be less familiar with the demands of bringing new technologies to the marketplace, including the regulatory environment and its requirements for technical validation and understanding the risk profiles of every device.

The FDA will look at the accuracy of the whole-slide imaging approach and the accuracy of the traditional light microscopy approach, comparing both to an adjudicated standard. This reference standard will likely be determined by a panel of three pathologists; agreement by two of the three creates the reference diagnosis. Dr. Wilbur’s preference would have been to consider the glass slide interpretation the de facto gold standard, and then compare digital to that. This approach is more in line with submitting a 510(k) rather than a PMA, showing essential equivalence to a similar, standard technology. “The glass slide is the current gold standard—this type of PMA approach tests not only WSI interpretation, but also the glass slide standard. It will be interesting to see how this sorts out. WSI could turn out to be better with this approach—who knows?” says Dr. Wilbur.

- A growing number of studies have shown superiority of virtual microscopy versus light microscopy (See: http://www.tissuepathology.com/weblog/2011/10/superiority-of-virtual-microscopy-versus-light-microscopy-in-transplantation-pathology.html)

- This could be bad for microscope manufacturers and what about all the diagnoses made on these barbarian, exempt devices?

The FDA’s approach also requires a so-called washout period, during which the pathologist theoretically forgets the initial diagnosis before making a diagnosis on the second technology. “How long do you need to make the study not biased?” Faison asks. “I think randomizing the read order may help with that.”

- I may not remember your name, but I never forget a face.  Excuse me, have we met somewhere before?  But if you change the read order you already know that the first case is not the first case, or the last the last, unless of course it actually is which sounds like something Dr. House would say but most of us know if you are playing Monopoly and you are the thimble and on Connecticut Avenue and roll a nine then you go to Tennesse Avenue and a subsequent 7 puts you on B&O railroad and 8 more gets you Community Chest.  With enough cases (see reference to 65,000 cases above), this might work.

If all this sounds familiar, that’s because it’s similar to the FDA’s approach to regulating automated cytology, says Dr. Wilbur. But it may be more problematic for WSI systems, he says, especially the washout period. “Cytology slides are more difficult to remember, but I would suspect that memory of surgical pathology specimens will be more difficult to wash out,” he says. The FDA’s proposed washout period is a week minimum, Faison says, though she adds that two to three weeks would be optimal. (A CAP workgroup on WSI validation said it has found no widely accepted washout length and has recommended a three-week period.)

- Propose minimum of 2 weeks.  Absolute minimum.  More than 3 weeks ideal. Increases the chances the slides could be lost, broken, misfiled, destroyed or reused. Usually still in the pathologists office for 2 weeks and cannot be uncovered or identifed as broken or destroyed.

“In addition,” queries Dr. Wilbur, “what about other important aspects of a surgical pathology case?” Compared to cervical cytology, he says, where each case has only one reference diagnosis, surgical pathology specimens may have many aspects to test. In addition to a diagnosis of, say, colon cancer, the pathologist is also expected to grade the cancer, assess the margins, the depth of invasion, and so on. If these parts of the case do not match, how will the FDA handle that? Such patient care issues will make design of the studies potentially complicated, he says.

Beyond this, Dr. Wilbur fears that the FDA’s proposed studies will be too expensive and too difficult for smaller companies to conduct. With the advantage falling to larger companies, it could curb innovation.

He’s particularly concerned about how component makers will fit into the picture. Right now, they don’t. The FDA regards WSI as a system, and that’s the regulatory pathway it’s providing. Dr. Montalto suggests the FDA will eventually take another look at this. But near term, it will likely have a chilling effect on component providers, Soenksen says.

Some fear the decision could be stifling. Pathologists won’t be able to mix and match components as they see fit, and large vendors will have little if any incentive to design flexible systems. “What the FDA presented is the easiest solution,” says Dr. Wilbur, who wants more thought devoted to this issue. How will makers of scanners, image-management systems, or viewing stations break into the primary interpretation market? “They’ll be left out in the cold. This has to be addressed.”

Dr. Wilbur’s concerns point to another mudslide in the making. By recognizing WSI as a system, rather than individual components, the FDA also stated it did not see whole-slide imaging as a laboratory-developed test, which originates in the lab and is put together from initial components. Where does that leave labs that want to validate a non-approved WSI system?

“I’m doing my best to piece this together,” says Dr. Henricks, who adds that the matter has now been tipped into CMS’ lap. “What is CMS going to do about this if they find a laboratory using it? What if the laboratory has done a good validation for its intended use in the lab? What happens?”

- Take home message: We are not actually talking about regulators regulating whole slide scanners (without a predicate device), we are actually talking about regulating whole slide systems.  Entire ecosystems – stainers?, scanners, monitors, servers, viewers, pathologists?

It’s not hard to extrapolate further and ask about the implications for CAP inspectors enforcing CLIA. The answers could be scary.

“It’s a panic issue right now,” says Dr. Parwani.

- A perfection of means, and confusion of aims, seems to be our main problem.

Albert Einstein

Attempts to clarify matters further at the panel failed, attendees and panel members say. It wasn’t clear, for example, whether WSI systems that have already received FDA clearance for select use (for example, automated image analysis of breast markers) or for research use only can be validated as LDTs, Dr. Henricks says. FDA regulates manufacturers of medical devices, whereas CMS/ CLIA regulates testing that occurs in clinical laboratories. “I think sometimes it’s a misperception that the FDA directly regulates clinical laboratories, outside of blood bank,” Dr. Henricks says.

Dr. Montalto says that in his conversations with the FDA, the agency appears understandably uncomfortable with the idea of labs employing WSI systems for off-label use. He says the potential for this is a major reason the FDA wants vendors to move quickly on their submissions, so the devices can be proven safe for their intended uses.

- I hope not too quickly here we still need another public meeting and possibly a guidance document possibly in the next year.

Dr. Henricks makes it clear that the CAP accreditation program is not taking a public position on this and will harmonize with the FDA and CLIA and their requirements. “We look to them for some guidance on how to approach this topic,” he says. At the same time, he says, it appears that the CMS would welcome input from the CAP on how to address WSI for clinical purposes.

- I recognize CAP is in a tough spot here and everyone is looking to everyone else for guidance. Please give these folks enough guidance to make the decisions we need them to make. A blocked path also offers guidance.  (Last 2 lines with apologies to Mason Cooley and Jimmy Johnson.  Who else can use these 2 names in the same sentence, huh?). See if CMS would welcome input from the CAP on additional billing codes for some of these services.

In the meantime, the CAP has already begun addressing WSI via the aforementioned workgroup, which was convened by the College’s Pathology and Laboratory Quality Center. The group (Dr. Parwani and Dr. Henricks are members) put together 13 draft statements for laboratories that want to validate WSI systems. The CAP currently has no accreditation program checklists on WSI validation, but the recommendations might be part of a future such checklist.

- The only question then is who drives this may be, could be, future such checklist, The College’s Pathology and Laboratory Quality Center, CAP’s Council on Accreditation, Diagnostic Intelligence and Health Information Technology Committee or The CAP Technology Assessment Committee. I think a committee should be formed to organize these committees.  

The CMS representative on the panel, Debra Sydnor, CT(ASCP), says CLIA is interested in the workgroup’s recommendations. “That is very helpful to us,” she says. But it’s hard to know how that interest will translate into practical action and, ultimately, regulatory compliance.

- One should avoid using the terms "practical" and "regulatory" in the same sentence.  Kind of like saying "Notre Dame" and "football" for the past decade and a half.  It doesn't sound right.  And are we talking about regulations or compliance with said regulations.

Ideally, labs should consider holding off on using WSI for clinical purposes until a system has FDA approval for the appropriate intended use, says Sydnor, cytologist, CMS Division of Laboratory Services. She realizes this is a quixotic notion. Sydnor says she’s been fielding calls from laboratories that intend to use—or are already using—WSI for testing that involves H&E. Most of the questions concern the holder of the CLIA certificate—i.e. where is the final testing done?—rather than validation. For CLIA purposes, the pathology test is the specimen grossing and the microscopic slide interpretation; therefore, the location where they are performed must have the appropriate CLIA certificate and meet the applicable requirements.

- Increasingly grossing/histology services are becoming consolidated and where the tissue is grossed and slide read are different facilities. And a third location could be where the image being used to render the diagnosis is reviewed.  

She advises laboratories to look to CLIA regulation 42 CFR 493.1253 for guidance regarding off-label use of the device under CLIA, but notes that additional formal guidance, specific to WSI, will be forthcoming from the agency.

- Until then go to http://edocket.access.gpo.gov/cfr_2010/octqtr/pdf/ 42cfr493.1254.pdf for the aforementioned reference above.

What will happen if a CLIA inspector encounters a laboratory using WSI for clinical purposes? The lab will have to demonstrate appropriate validation, policies and procedures, and other CLIA-related quality assurance practices, as it would for any test, she says, but that’s not the end of the story. “This will involve training and instruction within CLIA,” Sydnor says. “This area of automation is all new to them [CLIA inspectors] as well.”

- What?  Level of automation? What level of automation? Validate the slide scanning, disk spinning, pixel transfer?  What is being manufactured that will reduce the need for hard physical labor and/or monotonous work.  We are actually adding additional steps and work and effort in this process.  What humans are being replaced by what instrumentation that would justify the sheer mention of "automation".

She makes clear that CLIA is neither granting permission nor encouraging laboratories to use WSI imaging for clinical purposes right now. At the same time, “CLIA is not out to witch hunt anyone,” she says. “We basically want to know what you’re doing, how you’re ensuring quality testing, and what it is you’d like to do.” Like everyone else at the table, she says, CLIA is seeking data about how well, and how safely, these systems perform.

- Translation: We work for the government and we are here to help.  We are not saying that you can't, but we are not saying that you can either.

Meanwhile, what’s a less-adventurous lab to do?

A surprising amount, as it turns out. As Dr. Henricks notes, digital pathology remains viable for uses other than primary diagnosis, including quality assurance, secondary consultations, education and research, and automated image analysis.

Labs should continue using WSI in approved ways, Dr. Parwani says, which will let them move quickly once the systems earn approval for primary diagnostic use. Here the CAP working group guidelines will be valuable, he says, since they’re extensively annotated and draw on available data as well as user experience. Labs can use the guidelines to ensure they have all the components in place and the right workflow as they prepare for the eventual shift to WSI.

- In 5 years we can jump on this right away.

Dr. Wilbur and his colleagues mostly use WSI for continuing education, but in mid-December they inked a contract with an image-management system company, setting them up to do what he calls “intramural” consultation. This will allow pathologists to share cases in the system across multiple desktops, including those at regional affiliates, and enable second opinion consultations to flow into the institution from outside sources.

At UPMC, Dr. Parwani and his colleagues continue to use digital pathology, as they have for the past couple of years, for education, research, QA, and getting opinions from colleagues. They use it for image analysis of breast markers, and they are starting to accept consults from other countries and institutions for second opinions. “We’re trying to use it for all the intended uses that are approved,” he says. They’re participating with a vendor in clinical trials to prepare its system for premarket approval, and their interest in primary diagnostic use looms large. “Most of our pathologists are very comfortable with looking at digital images and looking at digital slides,” he says.

- Who mentioned anything related to pathologists actually being able to read these images and help providers take care of people.  When was pathologists abilities to do their jobs to the best of their abilities with the right training, experience and equipment discussed in this process? You mean pathologists can actually do this today? Read images?  Like through a microscope?  Or a gross photo?  Or an electron micrograph?

“There are so many things you can do,” he adds. “This should not stop your march toward digital pathology.” The DPA panel, in his view, was merely one step in the process. He, like Dr. Montalto, even sees it as a positive one. “FDA is looking at it, and we’re going to have a good product in the end.”

- “Everything will be all right in the end. If it’s not all right, then it’s not the end.”

 Karen Titus is CAP TODAY contributing editor and co-managing editor.

Of the FDA’s decision to regulate whole-slide imaging systems as Class III devices, Aperio president Dirk Soenksen says, “They’ve made up their mind. . . . You’re talking five years at the earliest when someone’s going to get approval.” How broad will Aperio’s submission be? “As broad as FDA allows,” he says.

 

Faison

 

Dr. Henricks

 

Dr. Montalto

 

Dr. Wilbur

 

Dr. Parwani

Usefulness of Software for Analyzing Digital Pathology Images Highlighted

January 17, 2012
Hard to miss this news item which I saw reproduced on dozens of media outlets and sites.

Ul Balis and his team, including Jason Hipp using their SVIQ technology were able to differentiate benign from malignant bladder tissue in cases of micropapillary urothelial carcinoma.
 
This type of technology which uses concentric rings to identify key features for recognition rather than square blocks in the query is a welcome addition to the surgical pathologist's toolkit and I think the tip of the iceberg in the type of value added propositions digital pathology will offer over analogue.  
Reproduction of the glass slide is just the beginning.  The ability to differentiate normal from malignant and dozens of other applications helps add science to the "art and science" practice of pathology. 

This is the 11th of what could become hundreds of publications looking at a wide variety of anatomic pathology differential diagnoses and clinical situations.  
Look for more to come from this game changing technology.

As tissue slides are more routinely digitized to aid interpretation, a software program whose design was led by the University of Michigan Health System is proving its utility. malignancy from background tissue in digital slides of micropapillary urothelial carcinoma, a type of bladder cancer whose features can vary widely from case to case and that presents diagnostic challenges even for experts.

In a new study, a program known as Spatially Invariant Vector Quantization (SIVQ) was able to separate malignancy from background tissue in digital slides of micropapillary urothelial carcinoma, a type of bladder cancer whose features can vary widely from case to case and that presents diagnostic challenges even for experts.

The findings by U-M and Rutgers University researchers were published online in Analytical Cellular Pathology ahead of print publication.

"Being able to pick out cancer from background tissue is a key test for this type of software tool," says U-M informatics fellow Jason Hipp, M.D., Ph.D., who shares lead authorship of the paper with resident Steven Christopher Smith, M.D., Ph.D. "This is the type of validation that has to happen before digital pathology tools can be widely used in a clinical setting."

To test the software's ability to identify cancer in a digital slide, a group of human pathologists first pinpointed the cancer the old fashioned way, by hand. Their work was then used as the gold standard for grading the program's results. Researchers then systematically tested which settings within the program produced the most accurate results – which can serve as a blueprint for optimizing the software to detect other types of cancer and disease.

The findings by U-M and Rutgers University researchers were published online in Analytical Cellular Pathology ahead of print publication.

Diagnosing cancer and other pathologies from tissue slides has always been part science and part art. Pathologists pore over samples looking for certain structural anomalies or counting microscopic features.

"Being able to pick out cancer from background tissue is a key test for this type of software tool," says U-M informatics fellow Jason Hipp, M.D., Ph.D., who shares lead authorship of the paper with resident Steven Christopher Smith, M.D., Ph.D. "This is the type of validation that has to happen before digital pathology tools can be widely used in a clinical setting."

News-digital-pathology-2012

To test the software's ability to identify cancer in a digital slide, a group of human pathologists first pinpointed the cancer the old fashioned way, by hand. Their work was then used as the gold standard for grading the program's results. Researchers then systematically tested which settings within the program produced the most accurate results – which can serve as a blueprint for optimizing the software to detect other types of cancer and disease.

Diagnosing cancer and other pathologies from tissue slides has always been part science and part art. Pathologists pore over samples looking for certain structural anomalies or counting microscopic features.

But different pathologists – or even the same pathologist at different times – may come to different conclusions based on a number of factors, including whether a slide is viewed at high or low magnification, or even whether the pathologist is fatigued from examining dozens of other slides that day, the researchers say.

Digital tools like SIVQ can help pathologists to quickly, accurately and efficiently identify features on a slide with just a few clicks; to quickly calculate the area of an irregularly shaped feature; or to eliminate the slow and painstaking tallying of tiny elements.

Still, the authors stress, the program isn't intended to replace the skill and art of human pathologists, but to provide an additional resource.

"Not only do our findings show that SIVQ has the potential to be a useful tool in surgical pathologists' toolkits when optimized to aid detection of such a highly variable disease, but the case is an excellent example for how the same approach might be applied to a variety of clinical areas," says Ulysses Balis, M.D., director of the division of pathology informatics at U-M and the paper's senior author.

Balis led the software's design at U-M along with Hipp and former informatics fellow Jerome Cheng, M.D.

Unlike other pattern recognition software, SIVQ bases its matches on a set of concentric rings rather than the usual square block. This allows features to be identified no matter how they're rotated or whether they're flipped, as in a mirror.

An example of the program's flexibility was recently demonstrated by Bruce P. Levy, M.D., a research fellow in pathology at Harvard Medical School. Testing the program's utility in a forensic pathology setting, SIVQ was used to calculate the area of bullet wounds and to identify and quantify stippling, which are small scrapes surrounding some gunshot wounds that help to determine the distance from which a gun was fired.

"Being able to use software like SIVQ to analyze forensic images helps to bring the practice of forensic pathology closer to the high-tech fictional world of CSI," Levy says.

Since the computer-aided analysis of micropapillary urothelial carcinoma might contribute to patient care, the group is making all of their primary data freely available to other doctors and researchers at U-M's online digital imaging repository, www.WSIrepository.org.

This paper marks the researchers' 11th SIVQ-related publication, including two editorials. Several others are currently in progress.

Source: University of Michigan

How Proposed Code-Stack Changes Will Impact Palmetto GBA’s Handling of Molecular Diagnostic Tests and LDTs

December 8, 2011

Preparing your lab for March 1, 2012 when proposed changes
take effect for code-stacked claims in Medicare’s J1 region

LIVE EVENT December 20th

YOUR PRESENTERS:

Elaine K. Jeter, M.D., Pathologist and Medical Director, Palmetto GBA

Mike Barlow, Vice President, Palmetto GBA

Robert L. Michel (Moderator), is Editor-In-Chief of The Dark Report and DarkDaily.com

Click Here to Read The Presenters Bios

____________________________________________________________________________

Is the era of code stacking about to end? The clock is certainly ticking for molecular diagnostic tests. Effective March 1, 2012, one of Medicare’s larger carriers is proposing new processes that will affect claims for molecular diagnostic tests (MDT) and laboratory-developed tests (LDT).

This milestone development has the potential to affect every laboratory that uses code stacks when submitting claims for MDTs and LDTs. In recent weeks, Palmetto GBA has published two proposed local-coverage determinations (LCD) that would change how code stacks are used for MDTs and LDTs, starting in the J1 region.

Palmetto GBA also released details about a proposed new “Molecular Diagnostics Services Program” or MolDx for short. MolDx will also launch on March 1, 2012, and to comply, labs would need to register every MDT and LDT, then submit clinical and scientific material for each test. This information would be evaluated by a special review panel, after which Palmetto GBA would make a coverage determination for each test.

By special arrangement, this audio conference on Tuesday, December 20, 2011 will feature Palmetto’s Medical Director, Elaine Jeter, M.D. and Vice President Mike Barlow. You and your lab team can get first-hand information about why these proposals were put forth, along with specific details about how Palmetto GBA plans to implement the two proposed LCDs and MolDx.

For pathology groups and clinical labs moving forward with molecular diagnostics testing, this is a “must-attend” event. You’ll get the knowledge you need to ensure that your lab’s MDT and LDT claims comply with the proposed changes. Not only will you hear directly from the Palmetto GBA executives tasked with addressing the issues triggered by the growing number of code-stacked claims, you’ll also get answers to your specific questions when we open up the phone lines to Q&A from the audience.

This high-value, low-cost audio conference will help you and your entire staff develop a strategic plan to respond to the proposed new processes involving molecular diagnostic tests and LDTs. It’s information you can’t get from any other source, so be sure you register today to guarantee your place at this important event!

THE DARK REPORT AUDIO CONFERENCE AT A GLANCE


DATE:
Tuesday, December 20, 2011

TIME: 1 p.m. EDT; 12 p.m. CDT; 11 a.m. MDT; 10 a.m. PDT

PLACE: Your telephone or speakerphone

COST: $195 per dial-in site (unlimited attendance per site) through 12/9/11; $245 thereafter

TO REGISTER NOW: Click here or call 1-800-560-6363 toll-free


For one low price-just $195 (through 12/9/11; $245 thereafter) you and your entire team can take part in this fast-paced, insightful audio conference. Best of all, you’ll be able to connect personally with our speakers when we open up the phone lines for live Q&A.

Here’s just some of what you’ll learn during this in-depth 90-minute audio conference:

  • Why do code stacked claims cause problems for health insurers?
  • How do the two proposed local coverage determinations (LCD) address code-stacking issues?
  • Can my lab expect to be paid if it submits code-stacked molecular test claims after March 1, 2012?
  • What is the purpose of the molecular test registry?
  • How will the clinical and scientific material in support of my lab’s tests be evaluated?
  • Why do I need a “Z-Code” for each of my lab’s molecular diagnostic tests and LDTs?
  • Will there be flexibility in the timelines?

…and much more!


How to Register Now:

1. Online
2. Call toll free: 800-560-6363.

Your audio conference registration includes:

  • A site license to attend the conference (invite as many people as you can fit around your speakerphone at no extra charge)
  • A downloadable PowerPoint presentations from our speaker
  • A full transcript emailed to you soon after the conference
  • The opportunity to connect directly with the speaker during the audience Q&A session

Register Now! Or for more information, call us toll-free at 800-560-6363

 

ACCENT® Continuing Education Credit
The American Association of Clinical Chemistry (AACC) designates this program for a maximum of 1.5 ACCENT® credit hours towards the AACC Clinical Chemist’s Recognition Award. AACC is an approved provider of continuing education for clinical laboratory scientists in the states of California, Florida, Louisiana, Montana, Nevada, North Dakota, Rhode Island, and West Virginia.

 

Did the CAP do enough for digital pathology and discussions with the FDA?

November 16, 2011

In the wake of the FDA panel at Pathology Visions 2011 many questions have come to mind. 

As a dues paying, card carrying member of the College of American Pathologists, I have benefited in many ways professionally being associated with the professional organization.  From the time I was a junior member I have served on a number of committees, working groups and ad hoc task forces.  As a member of the Informatics Committee many years ago was involved with writing the checklist questions for telepathology that are now part of the laboratory accreditation program.  We also put together a course on digital pathology, whole slide imaging and telepathology that remains current today.  Through the foundation I have helped plan the CAP Futurescape Conference and review grant submissions for resident travel awards.  The foundation serves many other purposes including humanitarian aid, patient education and research support that have helped many.  

Every lab I have worked in has been has been CAP accredited and I have been fortunate to inspect many. The process is professional, collegial and always informative.  The College does a fantastic job of doing its part to ensure labs are providing accurate results while being safe and orderly workplaces.  

Truth be told, I get a majority of my CME from the College's Performance Improvement Program (PIP) surgical pathology slide program.  Dollar for dollar and hour for hour, a very effective way to stay current, see great cases and learn effectively without the hassle of travel or meeting registrations although I do enjoy the annual CAP meeting and have supported this for many years.

There are dozens of other committees, education programs, meetings, courses, philanthropic activities, etc… that the College offers on behalf of its members and laboratories.

With all that being said, I wonder if the College did not do enough to keep the FDA from regulating whole slide imaging hardware and software. Jna0299l  

Did the College discuss with the FDA, pathologists innately conservative nature and need and necessity to self-validated any device, test or application within their laboratories?  Did the College mention the degree of scrutiny we as a specialty self-validate, inspect, re-inspect, check and re-check our product, whether a CBC report or an anatomic pathology report?  Pathologists have procedures to read the actual procedures for the specific test, instrument or procedure.  Sit in a committee meeting that is discussing linearity surveys and you can begin to get a sense of what I mean.  If you know the joke about the internist, pediatrician, pathologist and surgeon who go duck hunting you also understand how physicians in general and pathologists in particular know their limits and pick and choose the tools they use to do their jobs (even surgeons).  

Did the College mention to the FDA that like the microscope, even the oldest, crappiest, dirtiest microscope in the department, in the right hands has been used effectively for decades to help save lives and take care of people?  

Parameters-to-consider-when-purchasing-new-microscopeAnd where is the FDA when it comes to the microscope?

Oh yeah, they do not regulate those. Something about one being older than the other. Most of us probably don't know if it is a xenon, halogen, incandescent or some other gas or filament producing the white light turned blue by filters, shown through a paper thin tissue section, through a lens, off some mirrors (not cleaned for a long time) and through some more glass to the back of our retinas is "calibrated", "validated" or "Kohler illuminated".  

What we do now is if the tissue section stinks or the microscope image being presented to our neurons stinks, we go back, check the fixation, cutting, staining, light source, lens, condensors, etc… to make it right and offer the best quality product for the most accurate diagnosis. 

Shoot, I took my pathology boards, the test used to say that one is "board certified" by reading digital slides and images.  There were some glass slides as well with rudimentary microscopes.  The monitors were low resolution CRT monitors but perhaps this was the test — if you can diagnose these images and slides with this lousy technology, you can probably do it with better equipment where you are actually going to practice.  I didn't know you could zoom in on the images to a higher magnification and still passed.  I don't know whats worse – not knowing I could do this when I should have or passing the exam without having to…Before this the boards would show kodachromes.  Folks in the back of large rooms claimed needing binoculars to see the images across the room.  And they passed too.

The same would be true for a slide scanner and viewer, we may all not know if it is "line" or "tile" or took 2 minutes or 4 but we would use it as any other tool and expect it to present a diagnostic quality image to diagnose.  We would know enough to know a bad image or bad scan much like we know enough to know when a microscope lens that is not suppose to has oil on it, needs a bulb changed or has the wrong oculars on it because a resident or colleague swapped yours out for another.

In their letters to the FDA in October of 2009, Drs. Visscher and Schwartz (at the time a past president of the College and not yet named CMO at Aperio) eloquently make these points in the day to day surigcal practice of pathology with many decades of combined experience in large laboratories with many responsibilities in those laboratories.  In addition to the microscope, they mention other information that is used in making a diagnosis and the value adds for digital pathology in their environments.

Additionally, Dr. Juan Rosai in his letter to the FDA prior to that meeting, one of the world's foremost pathologists maintains that if he can use the technology for the most difficult consults from all over the world, "routine" cases, since they are "routine" could be diagnosed with digital pathology accurately, closing his letter with "I would simply conclude by saying than from a technical and scientific standpoint I am thoroughly convinced that a diagnosis made on the basis of a well-prepared digital image of a representative whole section is just as informative and accurate as that performed by using the time-honored examination of a glass slide under the binocular microscope."

Did the College stand up for pathologists and make this statement based on its many members, peer-reviewed works from the pathology community and the College's own internal efforts to help ensure this technology was implemented and used appropriately?

I of course do not know.  If since and before October 2009 these discussions took place, I do not think the CAP has shared its efforts widely with its members or did not have these discussions.  

In a subsequent post on this issue, I will offer a way in which the College of American Pathologists can help ensure this technology is marketed and used as it is intended in a safe and effective manner.

 

Thoughts from Digital Pathology Consultants on FDA Panel

November 11, 2011

Amanda Lowe from Digital Pathology Consultants has a couple of recent nice posts on FDA panel at Pathology Visions last week. Check them out on her blog. She has been following this item and has some great insights and feelings on the matter.

Part 1: An Update on the FDA’s Regulation of Digital Pathology

Part 2: Digital Pathology is Not an LDT! Now What?

 

Ventana Receives FDA Clearance for HER2 (4B5) Image Analysis and Digital Read Applications

October 31, 2011

TUCSON, Ariz., Oct. 24, 2011 /PRNewswire/ — Ventana Medical Systems, Inc. (Ventana), a member of the Roche Group, received 510(k) clearance from the U.S. Food and Drug Administration (FDA) for the VENTANA Companion Algorithm HER2 (4B5) for image analysis applications with associated VIRTUOSO software and iScan Coreo Au scanner. Ventana is now the only company with a complete workflow solution for determining HER2 (4B5) expression in breast cancer patients.

The application assists the pathologist in the detection and semi-quantitative measurement of HER2 (4B5) protein in formalin-fixed, paraffin-embedded normal and neoplastic tissue. While the pathologist is still the ultimate authority in scoring HER2 (4B5) stains, the image analysis application helps ensure consistency and objectivity in interpretation.

When used with the VENTANA PATHWAY anti-HER2 (4B5) Rabbit Monoclonal Primary Antibody, it is indicated for use as an aid in the assessment of breast cancer patients for whom HERCEPTIN (Trastuzumab) treatment is being considered. The 510(k) clearance covers all components of the workflow including the 4B5 clone, slide stainer, detection systems, software and scanner.

"The addition of the Companion Algorithm for HER2 (4B5) to the VENTANA portfolio of products gives pathologists an important tool for assessing HER2 (4B5) expression in breast cancer patients," said Dr. Steve Burnell, lifecycle leader for advanced workflow. "Ventana continues to lead the industry with its commitment to providing customers a complete, optimized solution – including stainers, reagents, scanners and digital pathology software applications – that provides accurate and efficient testing results."

Ventana also received FDA clearance for the digital read application that allows the pathologist to view HER2 (4B5) stained slides as images on a computer monitor with VIRTUOSO software and iScan Coreo Au scanner.

About Ventana Medical Systems, Inc. Ventana Medical Systems, Inc. ("VMSI") (SIX: RO, ROG; OTCQX: RHHBY), a member of the Roche Group, innovates and manufactures instruments and reagents that automate tissue processing and slide staining for cancer diagnostics. VENTANA solutions are used in clinical histology and drug development research laboratories worldwide. The company's "Smart Systems" – intuitive, integrated staining and workflow management platforms that optimize laboratory efficiencies to reduce errors – support diagnosis and inform treatment decisions for anatomic pathology professionals. Together with Roche, VMSI is driving personalized medicine through accelerated drug discovery and the development of "companion diagnostics" to identify the patients most likely to respond favorably to specific therapies. Visit www.ventana.com to learn more.

Ventana products are for in vitro diagnostic use for specific applications, and are research use only for other applications.

VENTANA, the VENTANA logo, PATHWAY, Companion Algorithm, VIRTUOSO and BenchMark are trademarks of Roche.

 

Leica Microsystems to Launch Clinical Workflow Solution for Digital Pathology at Pathology Visions

October 27, 2011
 

Looking forward to all the new launches and releases at Visions. Here is one from Leica Microsystems from selectscience.net.

 

Leica Microsystems has announced that it is to launch its clinical workflow solution for Digital Pathology at Pathology Visions 2011. The Digital Image Hub Enterprise* with powerful image management, integration and communication capabilities, combined with the intuitive client viewer, SlidePath Gateway*, creates the ideal solution for clinical centers looking to implement Digital Pathology.
 
Furthermore, Leica’s Total Digital Pathology solutions now provide an implementation of the DICOM Supplement 145 standard for both slide scanning and viewing.

The system incorporates compre¬hensive and flexible communica¬tion specifications which enable the seamless integration of Digital Pathology with world-leading anatomical pathology LIS providers, such as Cerner CoPath PlusTM and Sunquest (formerly Elekta) PowerPath, as well as additional 3rd party and bespoke systems via the inbuilt flexible Integration Toolkit.

The user-friendly interface and flexible reporting tools in SlidePath Gateway Client enable anatomical pathologists to follow the cases from slide scanning right through to reporting.

For access on the move, pathologists can view their digital slides through multiple modalities including Internet Browsers and iPad, giving anytime, anywhere access to cases for rapid second opinion or frozen section review. Access to real time conferencing capability allows users to consult on cases with their peers on demand. Technical controls, to help facilitate HIPAA compliance, enable users and system administrators to be assured of the security and integrity of clinical data.

Dr. Donal O’Shea, Head of Digital Pathology in Leica Microsystems says, “This is a big step for Leica Microsystems in building out our Digital Pathology technology portfolio. Providing an Enterprise level infrastructure for Digital Pathology that facilitates the delivery of an ergonomic, high performance, easy to use, clinical case management workflow was central to our product development strategy. This is optimally engineered to allow users to leverage Digital Pathology where it delivers real ROI in the clini¬cal setting. We will continue to innovate aggressively across our technology portfolio to ensure a best in class position in Digital Pathology in clinical, research and educational areas.”

Leica Microsystems are exclusive platinum sponsors of Pathology Visions 2011, October 30 – November 2, San Diego, CA. Visit Leica at booth 302 – 304 to see our complete case management solutions for Digital Pathology.

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