As medical products grow increasingly complex, the regulatory expectations for quality management systems must evolve as well. In February 2026, the US Food and Drug Administration (FDA) enacted the Quality Management System Regulation (QMSR), updating and modernizing its long-standing medical device quality management system requirements. But what does this mean for drug device combination manufacturers – companies that make products combining drug and device components (e.g., prefilled drug delivery systems, combination inhalers, drug-coated devices, etc.)?
The QMSR is a revised version of FDA’s quality management system requirements for medical devices. It replaces the older Quality System Regulation (QSR) and incorporates by reference the internationally accepted standard ISO 13485:2016, a globally recognized quality management system framework for medical device manufacturers. One detail to note: the QMSR is a completely new version of the same Part 820 in the Code of Federal Regulations – same reference (21 CFR Part 820), all new content.
The QMSR became effective on February 2, 2026, and fundamentally harmonizes FDA device quality management system expectations with global standards.
When FDA finalized the QMSR, it also addressed the requirements for drug device combination products.
In the regulatory preamble published with the final rule, FDA explicitly stated that it made “conforming edits to Part 4 (21 CFR Part 4)” – the section of the regulation that defines quality management system requirements for drug device combination products – to clarify how device quality management system requirements apply.
Importantly, FDA clarified that the conforming edits “do not impact the Current Good Manufacturing Practice (CGMP) requirements for drug device combination products.”
This statement may sound counterintuitive, but here’s what it means:
Even if a product’s primary regulated activity is a drug or biologic, many combination products include a device component that is critical to safety and effectiveness, such as a prefilled syringe, an inhaler, or a wearable patch.
Based on the details FDA has provided on the new inspection requirements and FDA implementation guidance CP7382.850:
In other words: If your product includes a device part subject to FDA device regulation, the QMSR expectations apply to that part of your quality management system.
Here’s how FDA has made its expectations clear:
For manufacturers of drug device combinations, FDA’s framework implies:
While the QMSR does not expand device GMP requirements to drug processes, it clearly continues to apply to any product with a regulated device component, including drug device combination products. FDA’s own incorporation of ISO 13485 into US requirements underscores that risk-based quality controls, thorough documentation, and a mature quality management system are essential – regardless of product type – when there is a device component.
Drug device combination product manufacturers should therefore not consider the QMSR optional. Instead, they must understand how it interfaces with other regulatory expectations, and ensure that their device quality management system aligns fully with the QMSR and the incorporated requirements of ISO 13485.
ELIQUENT supports medical device and drug device manufacturers at every stage of this transition, combining regulatory depth with hands-on inspection experience.
For organizations looking to build awareness and alignment quickly, ELIQUENT offers a 1-day FDA QSR to QMSR Transition Training class designed to help teams understand what is changing, what is not, and how inspection expectations are evolving.
For teams seeking a deeper, system-level understanding, ELIQUENT’s 3-day QMS, ISO 13485, and FDA QMSR Training course provides comprehensive instruction on building and sustaining an integrated, inspection-ready quality management system.
Beyond training, ELIQUENT provides quality management system audit and consulting services to help organizations assess QMSR readiness, prepare for FDA inspections, and strengthen quality management system effectiveness before, during, and after an inspection.
Whether you are just starting your QMSR transition or preparing for an upcoming FDA inspection under the new inspection approach, ELIQUENT can partner with your team to turn regulatory change into practical, sustainable improvement.
This article reflects ELIQUENT Life Sciences’ interpretation and application of publicly available FDA regulations and inspection frameworks, informed by extensive hands-on inspection and quality management system experience.
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