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Risk management and regulations for lower limb medical exoskeletons: a review

Authors He Y , Eguren D , Luu TP, Contreras-Vidal JL

Received 14 December 2016

Accepted for publication 22 March 2017

Published 9 May 2017 Volume 2017:10 Pages 89—107

DOI https://doi.org/10.2147/MDER.S107134

Checked for plagiarism Yes

Review by Single anonymous peer review

Peer reviewer comments 2

Editor who approved publication: Dr Scott Fraser



Video abstract presented by David Eguren.

Views: 581

Yongtian He, David Eguren, Trieu Phat Luu, Jose L Contreras-Vidal

Laboratory for Noninvasive Brain-Machine Interface Systems, Department of Electrical and Computer Engineering, University of Houston, Houston, TX, USA

Abstract: Gait disability is a major health care problem worldwide. Powered exoskeletons have recently emerged as devices that can enable users with gait disabilities to ambulate in an upright posture, and potentially bring other clinical benefits. In 2014, the US Food and Drug Administration approved marketing of the ReWalk™ Personal Exoskeleton as a class II medical device with special controls. Since then, Indego™ and Ekso™ have also received regulatory approval. With similar trends worldwide, this industry is likely to grow rapidly. On the other hand, the regulatory science of powered exoskeletons is still developing. The type and extent of probable risks of these devices are yet to be understood, and industry standards are yet to be developed. To address this gap, Manufacturer and User Facility Device Experience, Clinicaltrials.gov, and PubMed databases were searched for reports of adverse events and inclusion and exclusion criteria involving the use of lower limb powered exoskeletons. Current inclusion and exclusion criteria, which can determine probable risks, were found to be diverse. Reported adverse events and identified risks of current devices are also wide-ranging. In light of these findings, current regulations, standards, and regulatory procedures for medical device applications in the USA, Europe, and Japan were also compared. There is a need to raise awareness of probable risks associated with the use of powered exoskeletons and to develop adequate countermeasures, standards, and regulations for these human–machine systems. With appropriate risk mitigation strategies, adequate standards, comprehensive reporting of adverse events, and regulatory oversight, powered exoskeletons may one day allow individuals with gait disabilities to safely and independently ambulate.

Keywords: FDA, ReWalk, Indego, Ekso, HAL, Rex

Introduction

The Centers for Disease Control and Prevention reported that 17.1 million American adults are unable to or find it very difficult to walk a quarter mile.1 Gait impairment significantly contributes to long-term disability and ambulatory dysfunction in daily living.2 It is reported that in the USA, there are about 800,000 stroke incidents annually3 and more than a quarter of a million people currently living with a spinal cord injury (SCI),4 both of which are common causes of gait impairment.

Physical rehabilitation continues to remain a mainstay for individuals to regain functional independence after a stroke. However, rising health care costs tend to limit access to rehabilitation clinicians and facilities, thereby acting as a bottleneck to functional recovery.5 More recently, body weight-supported robot-assisted treadmill training has been shown to lead to comparable or improved functional outcomes for stroke surviors.6,7 Similarly, manually assisted or robot-assisted locomotor training can result in beneficial effects, even for subjects with complete SCI.8 However, these robotic devices remain largely restricted to clinical or research settings due to their size and cost, and they are less amenable to training with other functional tasks such as over-ground walking, stair climbing, etc. As a result, a number of newer assistive and therapeutic, wearable lower limb robotic devices, namely powered exoskeletons, have been developed.915

Several studies have systematically reviewed lower limb powered exoskeletons in a clinical context. A recent scoping review reported that clinical trials of powered robotic exoskeletons for post-stroke rehabilitation were free of serious adverse events.16 Other studies have focused on assessing the usefulness, safety, or effectiveness of powered exoskeletons as assistive devices for individuals with SCI.17,18 One review concluded that exoskeletons are safe to use in real-world settings and known to yield health benefits.18 However, this study was later challenged as it included duplicate subjects and studies, rendering its conclusions questionable.19

Overall, the protocols, outcomes, inclusion/exclusion criteria, and metrics in published clinical exoskeleton studies with individuals with SCI were found to vary greatly across studies.20 Moreover, the risks associated with powered exoskeletons and the possible approaches to mitigate those risks are neither reported adequately nor systematically. Although reviews of clinical trials deem exoskeletons safe for gait assistance or gait rehabilitation, these studies 1) often differ on their inclusion and exclusion criteria, 2) lack details on reported adverse events, or 3) do not explicitly state that adverse events did not occur.17,18,2123 Without a clear understanding and comprehensive knowledge of adverse events and the risks users face, it is difficult to evaluate the risk-to-benefit ratio of powered exoskeletons. Some researchers admit this limitation. For example, one study noted that safety is usually overlooked in the current literature as the authors “did not find any specific mention of falls or the prevention of falls” in some studies.12 Another study noted that “little [information] concerning safety and satisfaction was documented in the selected studies”.17 The authors believe user safety is the top concern for exoskeleton developers, researchers, end users, and regulators. Therefore, in this manuscript, we systematically reviewed risk management in current lower limb exoskeletons and how existing regulations address risk assessment and mitigation.

Lower limb powered exoskeletons

This review focuses on powered, over-ground lower limb exoskeletons for medical use. That is to say, exoskeletons used in military and industry applications are outside the scope of this review. Upper limb robotic arms/exoskeletons have been widely studied as a medical device in rehabilitation.24 They are generally safer compared to their lower limb counterparts due to a stationary setup which is free from the dangers associated with falling; they are thus excluded from this review. Throughout this article, we used the word “exoskeleton” interchangeably with the phrases “lower limb/extremity/body exoskeleton” for brevity, unless explicitly specified otherwise. The US Food and Drug Administration (FDA) identifies a powered lower extremity exoskeleton as “a prescription device that is composed of an external, powered, motorized orthosis that is placed over a person’s paralyzed or weakened limbs for medical purposes” (Regulation 21 CFR 890.3480).25 On the other hand, all current FDA-cleared exoskeletons are recognized under product code PHL, which describes a powered lower extremity exoskeleton as “a prescription device that is composed of an external, powered, motorized orthosis used for medical purposes that is placed over a person’s paralyzed or weakened limbs for the purpose of providing ambulation”. The ability to provide over-ground ambulation is a distinct feature compared to stationary robotic devices that are generally attached to treadmills. Ambulation also imposes significant challenges and risks in terms of maintaining balance and preventing falls. In treadmill-based systems, a body weight support tether is often used as an easy and robust countermeasure to prevent falls.

In this review, we focus on exoskeletons that enable users to ambulate over-ground. As we followed the definition of product code PHL, treadmill-based robotic devices such as the Lokomat™ (Hocoma, Zurich, Switzerland) were excluded. In fact, Lokomat is categorized by the FDA as an isokinetic evaluation and testing system under Regulation 21 CFR 890.1925.26 Ankle-foot orthoses and reciprocating gait orthoses were also excluded.

While there are many research laboratories and private companies with exciting prototypes in development, the developers usually release only limited specifications until they file for marketing clearance. Moreover, their designs are also more likely to be subject to change. Therefore, we discuss exoskeletons that have been cleared for marketing by the FDA, devices that have been indexed in the FDA’s database and have related peer-reviewed publications, and those registered in clinical trials. Currently, there are three devices in the USA that have been cleared by the FDA since this device category was established in 2014: ReWalk Personal (Argo Medical Technologies Ltd, Yokneam Ilit, Israel), Indego (Parker Hannifin Corp., Cleveland, OH, USA), and Ekso GT (Ekso Bionics Ltd., Richmond, VA, USA). ReWalk was cleared for marketing in the USA as a de novo Class II medical device by the FDA in 201427 and became the first of its kind. Indego was confirmed to be substantially equivalent (SE) to ReWalk in March 2016 by the FDA, and therefore also cleared for marketing in the USA.28 Ekso was approved by the FDA in the same manner shortly after.29

Risk management for powered exoskeletons

Risk management is defined as the “systematic application of management policies, procedures, and practices to the tasks of analyzing, evaluating, and controlling risk”.30 In the context of designing medical exoskeletons, the focus is on identifying and mitigating physical risks introduced to device users (including assistants, who are required to be near most systems) and possible risk mitigation strategies. These risks typically include, but are not limited to, falls, joint misalignment, skin damage, software malfunction leading to uncontrolled behaviors, electrical and fire hazard, and user error. We examined risk management methods in the medical exoskeleton industry by first reviewing current industrial standards from the International Organization for Standardization (ISO).

ISO is the world’s largest developer of voluntary international standards, and many ISO standards are recognized by the FDA. The FDA recognizes the standard for risk management in medical devices (ISO 14971), which was last revised in 2007. In 2012, the European Committee for Standardization (CEN) adopted a harmonized version of the ISO standard as EN ISO 14971:2012. Compliance with ISO 14971 and EN ISO 14971:2012 is an integral step in the process of bringing a medical device to the USA and the European consumer markets. ISO 14971 outlines the process of risk management and provides guidelines for evaluating, reducing, and documenting risks. The standard lists required qualifications for involved personnel, defines management responsibilities, and outlines the contents of a risk management file in which all documentation is collected and stored.31 The FDA has formally recognized powered lower extremity exoskeletons as a Class II medical device with special controls. It requires 510(k) submission from manufacturers who seek marketing approval in the USA.32

Gap between the industry and regulations

With three devices already approved by the FDA and more reportedly in the process, it is plausible that this new field will soon become crowded with competitors from both large companies and lab spin-off startups around the world. However, it appears that the risk management and regulations of exoskeletons have not been addressed adequately. Fall is a major risk of using exoskeletons, yet there is not enough information on this issue in existing FDA-cleared devices. Each device has a different strategy for dealing with potential falls, but their effectiveness is still unclear (Table 1). In addition, the definition of exoskeleton is somewhat confusing. ReWalk, Indego, and Ekso are all regulated primarily under Product Code PHL according to their de novo/510(k) submission.27,28,33 Product Code PHL states that “the control of the device (exoskeleton) is achieved through a wrist-worn, user-operated wireless communicator…”,32 but Indego and Ekso do not have any wrist-worn accessories. This definition is only applicable to ReWalk, the first system approved by the FDA in 2014. FDA’s different definition of “exoskeleton” in Product Code PHL and CFR 890.3480 also suggests the expansiveness of the term. To address the gap between the fast developing robotic technology and its regulations, in this manuscript the authors review the risk management strategies in current devices as well as related standards and regulations.

Table 1 Safety features related to falling in ReWalk, Indego, and Ekso exoskeletons


Note: Information is summarized from the de novo or 510(k) documents submitted to the FDA.27,28,33


Abbreviation: FDA, US Food and Drug Administration.

Risks of powered exoskeletons

Devices

Having a clear understanding of the risks users face while operating these devices is critical. There is evidence suggesting benefits with the use of exoskeletons,17,20,34 but without adequate information on potential risks, it remains difficult to properly assess the risk–benefit ratio. We reviewed all devices that have been cleared for marketing as a medical device in the USA, arguably one of the most stringent markets in the world. This list includes ReWalk, Indego, and Ekso. Additionally, we included Rex™ (Rex Bionics, Auckland, New Zealand) and hybrid assistive limb (HAL™; Cyberdyne, Tsukuba, Japan) systems. Rex has been cleared for marketing in the European Union (EU). HAL has been cleared in both Japan and the EU. They are both listed in multiple FDA and National Institutes of Health (NIH) databases and have related clinical studies. The current marketing status of these five devices is summarized in Table 2. For a technical review of current lower limb medical exoskeletons, readers are referred to recent studies.1618,20,34,35 In the following sections, we review related studies on the risk and its mitigations for these powered exoskeletons.

Table 2 Marketing status of some commercially available devices


Note: As of November 29, 2016.

ReWalk

ReWalk is the first exoskeleton cleared by the FDA for both personal use as well as use in a rehabilitation setting in the USA. The FDA approved ReWalk as a de novo Class II device with special controls. Along with the de novo approval, the FDA issued Order PS140001,36 requiring postmarket surveillance because the device’s failure to prevent a fall would be reasonably likely to cause serious injury or death to the users and assisting individuals.27 Argo Medical Technologies Ltd received a warning letter from the FDA after failing to conduct such a postmarket surveillance program regarding the risk of fall.37 ReWalk announced the launch of the required postmarket study in August 2016.38

In addition to commonly accepted ISO standards and FDA guidelines to mitigate risks, ReWalk features the following safety measures concerning software and hardware.27

  • “Graceful collapse/sitting”: In the event of a major system failure, such as complete loss of power, the weight of the patient causes the ReWalk unit to enter into a graceful collapse, ie, the body’s weight rotates the inner rotor of the motor and moves the exoskeleton joints into a slowly achieved collapsed sitting position.
  • Battery: The main battery is a Lithium ion battery that allows the user to walk continuously for >2 hours on a charge. The secondary is a Lithium polymer battery that allows at least an additional 15 minutes of continuous walking. The user is alerted when the charge of the battery is low by a short vibration (buzz) repeated every 10 seconds. Warnings are provided to the user not to use the device while charging.
  • Excessive joint angles: There is a threshold in the software that limits the movement through a safe range of motion and a fixed mechanical stop, which also prevents movement beyond a safe joint angle trajectory.
  • Software: The system does a self-check at start up and disables the system until the problem is corrected. The system will default over to manual control when a main computer failure occurs.
  • Misstep or obstacle: If the user contacts an obstacle with one of the limbs, the movement restriction generates excess torque. A torque threshold limit and alert is issued by the buzzer and vibrator, and the leg then moves back to a standing position.
  • Loss of communication between remote and main computer: The system can enter a bypass mode where the device can be controlled with buttons on the hip actuation unit.

ReWalk has been tested in several clinical studies to examine its efficacy and safety.12,21,23,3941 It has received mixed reviews. Positive opinions include that ReWalk is a safe device for in-hospital ambulation23 and that it provides potential for functional gain40 and improved fitness because of higher heart rate and oxygen demand than standing or sitting.39 There are no reports of serious adverse events,18 and participants had generally positive opinions regarding the use of the system.12 ReWalk has been the most studied powered exoskeleton for the SCI population, as evidenced by the number of peer-reviewed publications compared to that of its competitors.20 However, one study21 reported a high incidence of skin aberrations when using the ReWalk exoskeleton: 5 out of 10 enrolled subjects experienced at least one mild skin aberration, and two of them were withdrawn from the study owing to recurring skin breakdown problems. Also, one subject had a hairline fracture of the talus after using the device, possibly because of inaccurate joint alignment.42 No further treatment was needed, but the subject was excluded for the rest of the study because of this near-serious adverse event. The administrators of that study recommended prescreening subjects with osteopenia or osteoporosis in future studies.21

Indego

The Indego exoskeleton is deemed SE to ReWalk, and thus, most of its identified risks and associated risk mitigation approaches are similar.28 It has passed various tests such as durability testing and software verification. There are some differences when compared to ReWalk. Small variations exist in the size of components, weight, allowable height and weight of users, control method, and battery, all of which are deemed similar without additional safety or efficacy concerns. Of interest is Indego’s fall detection feature: it detects forward, backward, and sideways falling as it is happening, with the device making adjustments during the course of the fall to position the user for minimal risk of injury, although the details of this maneuver are not publicly available. In the event of power failure, the knees become locked and hips free. This mechanism allows the user to remain standing in the event of malfunction. There are a few clinical studies to date that utilize Indego. It is reported that Indego outperforms knee–ankle–foot orthosis,43 enables acute cardiorespiratory and metabolic responses,44 and enabled persons with tetraplegia and paraplegia learn to use it quickly.45 No adverse events have been reported.

Ekso

Similar to ReWalk and Indego, Ekso also has bilateral powered hip and knee joints in the sagittal plane. However, it is the first and, currently, the only exoskeleton cleared by the FDA for use by stroke patients.

After the announcement that the FDA would regulate exoskeletons as Class II medical devices with special controls, Ekso Bionic filed a 510(k) notification to the FDA in December 2014. In the meantime, the company was allowed to continue marketing under Class I registration while the application was under review. The company received clearance for marketing by the FDA in April 2016, on the basis that it is SE to ReWalk.29

Ekso has been evaluated in several clinical studies22,4648 and has been shown to improve gait speed and step length of SCI subjects after 20 sessions of training.47 A pilot study explored incorporating transcutaneous spinal cord stimulation in daily training with Ekso.49 In a study using a prototype version of Ekso, multiple falls were recorded without any physical adverse conditions.22 Note that an overhead tether was used in this study to prevent actual falls. A “fall” was therefore defined as an event when the tether was triggered to function, not when the user actually fell down. It is unclear whether these “falls” would have been prevented if the tether had not been used, and instead would have required assistants to provide more support. Except from several falls due to the subjects losing balance, mechanical and software errors also contributed to multiple falls. In particular, a faulty feature50 that was initially designed to help trigger steps via contact sensors on the crutch was removed in later versions of the device because of frequent malfunctioning. There are six adverse events registered in the Manufacturer and User Facility Device Experience (MAUDE, an FDA’s database of device-related adverse events; https://www.accessdata.fda.gov/scripts/cdrh/cfdocs/cfmaude/search.cfm) database. None of them resulted in the injury of users or anyone else. All are mechanical issues, such as a footplate separating from the device and broken epoxy bond allowing the ankle joint to rotate. It is not publicly available what improvements have been made to the system to address these issues, but no accidents have been reported in later studies.

HAL

HAL for Medical Use (Lower Limb Type) is a bilateral lower limb exoskeleton with two active degrees of freedom at the hip and knee, and a passive degree of freedom at the ankle joint of each leg. Its control system processes data from surface electromyography (EMG) sensors, angle/acceleration sensors, and force sensors to estimate the necessary forces to assist-as-needed the user's intended actions. The use of EMG signals in HAL's shared control system to help detect the user's intent represents a type of hybrid peripheral neural interface.51

Its European model has been certified under the European Medical Device Directive (CE 0197). HAL was granted approval to manufacture and sell Japan’s first robot therapeutic device HAL for Medical Use (Lower Limb Type) by the Japanese Ministry of Health, Labour, and Welfare on November 25, 2015. In December, the company applied for national health insurance coverage for HAL for medical use. The company has reportedly applied for the FDA approval in the USA, but its status in the regulatory path is unclear.52

HAL has been widely tested in clinical trials. A systematical review of clinical applications of HAL for gait training for 140 subjects with stroke or SCI suggested that minor and transient side effects occurred, but no serious adverse events were reported.53 HAL is thus considered safe and feasible for stroke patients to use. One study examined the feasibility and safety issues of using HAL in acute-phase rehabilitation after stroke.54 Though no serious incident happened, 4 out of the 22 subjects experienced orthostatic hypotension (Orthostatic hypotension was defined as a decrease in systolic blood pressure of >20 mmHg immediately after sitting or standing.), resulting in one subject withdrawing from the experiment. This is noteworthy because blood pressure responses after using exoskeletons are usually not measured43 or reported as within normal limits23 in other studies. A similar acute phase rehabilitation feasibility and safety study recruited eight patients and thoroughly reported all adverse reports from the participants.55 Moderate discomfort from tight straps and heavy weight of the device were reported by several subjects, although these did not last after the training. Moderate pain due to pressure was reported at the cuff over the knee and over the malleolus. This was solved by readjusting the device. Although minor and solvable, this adverse effect highlighted the importance of proper alignment of the device. Chafed feet were reported in one subject due to wrong shoe size. This was not a technical error, but better labeling and rigorous staff training will minimize the chance of user errors. Stumbling due to impaired weight shifting occurred from time to time. Subjects were secured by an overhead tether and also supported by two therapists when needed. However, such protective procedures are usually not available in normal usage with HAL (and with other similar devices).

Rex

The Robotic Exoskeleton (Rex) carries the CE mark and is available in the EU market. It distinguishes itself from other exoskeletons because it has the ability to self-balance, albeit under restricted conditions, without the need for any extra balancing instruments (cane, walker, etc.). Rex thus offers a “hands-free” experience to users.

To date, there are no published clinical trials to demonstrate the clinical effectiveness and risks of Rex. However, a serious adverse event was reported to the MAUDE database.56 One user with SCI suffered bilateral symmetrical fractures after finishing a supervised session. The patient noticed swelling in the ankles and knees in the evening. An appointment was organized for the following day, and bone fractures were identified by X-ray. According to the manufacturer, there are three likely contributing factors: 1) the patient was found to have osteoporosis; 2) the patient had a spasm, and so inadvertently kicked the heel stops back, resulting in misaligned ankles and knees; or 3) two ankle braces were used to support the user’s ankles. They restricted the range of motion such that the user no longer met the required range of motion specified for the device. This adverse event highlights the possibility of bone fracture due to misalignment of joints. The event was probably the result of a series of unfortunate mistakes: poor, or lack of, training of physiotherapists; lack of clarity in the exclusion criteria; and lack of countermeasures for unsecured joints.

Inclusion and exclusion criteria in clinical trials

Medical exoskeletons have the potential to help people with a wide spectrum of lower limb motor impairments, including weakened legs due to advanced aging. Initial deployment of the exoskeleton technology – by manufacturers like ReWalk and Indego – has focused on individuals with paraplegia due to SCI, and clinical trials reflect this trend.20 Other exoskeleton systems, such as Ekso, HAL, and Rex, target a broader population. A systematic review of 27 studies of powered lower limb exoskeletons that included 144 participants reported that 35% of the participants were stroke patients, 58% were SCI patients, 3% were subjects with gait disorders of unspecified etiology, and the rest, 4%, were healthy controls.34 To the best of our best knowledge, no study has compared the risks and effectiveness of powered exoskeletons across SCI and stroke user groups.

One of the challenges in prescribing powered exoskeletons is how best to match the technology to the user. This challenge is reflected in the wide-ranging inclusion and exclusion criteria found in clinical trials of powered exoskeletons (Table 3). The data in the table were aggregated from ClinicalTrials.gov (https://clinicaltrials.gov/), an online NIH database that compiles information of clinical studies involving human participants.

Table 3 Inclusion and exclusion criteria in clinical trials


Notes: The table was aggregated from ClinicalTrials.gov (https://clinicaltrials.gov/). An additional index that begins with # was added for easier reference in the discussion. In the “Inclusion Criteria”, a cross (X) indicates the type of participants who are excluded; a circle () indicates included; a question mark (?) indicates information not available; specifications (eg, “C7-T12”) indicate the specified spinal cord injury level. In the “Exclusion Criteria”, a check mark (√) indicates that related exclusion criteria exist in this category, although no quantitative measurement was specified. Values in the ROM column are contracture limitations unless indicated otherwise.


Abbreviations: SCI, spinal cord injury; M.Ashworth, modified Ashworth Scale; MMT, manual muscle testing; DF, distal femur; PT, proximal tibia; FN, femoral neck; PF, proximal femur; Rex, robotic exoskeleton; ROM, range of motion; BMD, bone mineral density; BMD_t, t-score of BMD; MMSE, Mini-Mental Status Exam.

The popularity of all criteria categories was compared based on the percentage of clinical studies (in the cohort of 28 identified studies) that explicitly used each type of criteria. Range of motion (ROM)-related deficits such as contractures are most commonly used as an exclusion criterion, with a leading rate of 79% (22/28). This is followed by criteria related to skin issues such as pressure sores or ulcers in the areas that come into contact with the device (75%, 21/28). Other categories include muscle and spasticity issues (71%, 20/28), bone health (71%, 20/28), hypertension (71%, 20/28), mentality (64%, 18/28), cardiology (64%, 18/28), and pregnancy (61%, 17/28). These percentages are similar in quantity, but the studies they each include differ. Moreover, different studies often evaluate the same category differently.

The Ashworth Scale was used in most studies to measure the spasticity of muscles. However, some chose to use a modified version (denoted as M.Ashworth in Table 3). And the exclusion bar differs across studies, for example, Study #8 included patients with Ashworth score of 4 while most others did not. ROM was usually quantitatively measured as the contracture limitations, although Study #7 measured the full range of motion of joints. As shown in Table 3, the values of these contracture limitations also differ across studies, and even across studies that used the same device. The difference therefore cannot be explained by hardware differences.

Severe osteoporosis is a risk factor for bone fractures in individuals using powered exoskeletons due to the potentially high external forces applied to the user’s limbs. However, the threshold varied between studies. Bone mineral density in different bones were used for examination and different t-scores were required. Study #1 only required “healthy bone density” without further details. Study #19 excluded subjects if severe osteoporosis affecting the hip and spine was documented. Future studies should investigate the effects of exoskeleton use on bone health and use a standard metric for defining osteoporosis.

Subjects should also be mentally able to understand the risk, communicate with the experimenter, and correctly follow instructions. Some of the studies that included mentality check used the Mini-Mental State Examination (MMSE) scores, for example, study #23 using Ekso required MMSE scores >17, whereas study #4 using ReWalk required MMSE scores > 26. Some other studies that mentioned the mentality requirement left the determination to on-site physicians, for example, study #12 excluded subjects with “inability to follow instructions”.

There were no studies that used a quantitative scale or metric to measure the condition of the skin. Those studies that did explicitly check skin condition usually required the area of skin in contact with the device to be intact and free from pressure sore or ulcers. The inadequate attention and knowledge about skin conditions may lead to frequent skin and soft tissue damage in seemingly normal usage. Remarkably, the exclusion criteria did not include metrics to assess the risk of falls. These topics will be discussed in later sections.

Reported adverse events

An adverse event is defined by ISO standard 62366-2 as an event associated with a medical device that led to death or serious injuries of a patient, or may lead to such if event recurs. In this review, we extended this definition to include minor injuries as well. Adverse events that have been reported in the peer-reviewed literature or public databases were reviewed. Our sources include all publications related to lower limb exoskeleton from PubMed and the MAUDE, up to November 17, 2016. The FDA requires a manufacturer to report to this database within 30 days after being aware of the adverse events. We used the name of the previously discussed devices as keywords in search. The events have been compiled into Table 4, sorted by the type of accident.

Table 4 Published adverse events involving exoskeletons


Notes: The 19-digit numbers (eg, 3007615665-2014-00001) in the Reference column are the Report Number of adverse events reported in MAUDE. The rest in this column are peer-reviewed publications.


Abbreviations: MAUDE, Manufacturer and User Facility Device Experience.

Identified risks

The FDA identified nine risks when it reviewed ReWalk’s de novo application.27 It is likely that similar risks exist in other devices as well since they usually claim to be SE to ReWalk. Based on previous information of device features, studies, and reported adverse events, we have identified additional risks that are not explicitly mentioned by the FDA. These risks are compiled in Table 5.

Table 5 Identified risks to health and mitigation measures


Notes: Adapted from Table 2 Identified Risks to Health and Mitigation Measures in FDA’s evaluation of ReWalk’s classification. Available from https://www.accessdata.fda.gov/cdrh_docs/pdf13/DEN130034.pdf.27 The entries in this table apply to other lower limb medical exoskeletons that claim being substantially equivalent to ReWalk™. aThe last two rows contain additional risks that are not included in FDA’s original table. Bold entries are addressed in detail in this review.


Abbreviations: EMC, electromagnetic compatibility; EMI, electromagnetic interference; FDA, US Food and Drug Administration.

Falls

Injuries resulting from falls are a major public health concern for the elderly, representing one of the main causes of long-standing pain, functional impairment, disability, and death in this population.57 Using exoskeletons impose an additional risk of falls to users who already suffer from motor deficiency. When a person walks freely, the body interacts with the environment (ground), which is predictable unless obstacles catch the person off guard. When the person uses an exoskeleton, however, this direct interaction is reduced or distorted. Feedback is inevitably distorted because of the extra layer of media. Sometimes, there are additional sources of feedback such as vibrations and sound. Users may need some time to adjust to these extrinsic stimulations. Additionally, users may attempt to execute certain movements, yet cannot correctly achieve it because of the physical constraint imposed by the exoskeleton. Last but not least, depending on the control scheme, the exoskeleton may incorrectly react to body movement, resulting in the triggering of an unexpected command that may contribute to the occurrence of a fall.

ReWalk, Indego, and Ekso all have their own strategies to mitigate the risk of falls.27,28,33 Table 1 summarizes them in three categories: 1) to detect and actively mitigate falling, 2) to seek minimal damage should power failure and/or a fall become inevitable, and 3) to deploy assistants who stand beside the user according to indications for use. Indego is the only device that has an active fall detection and mitigation feature: it detects falls and adjusts itself during the course of a fall to minimize the risk of injury. The method by which Indego detects falls, its responsiveness, and what kind of adjustments are to be made during the course of the fall are unclear. Nonetheless, such a feature is important in controlling an exoskeleton. In the unlikely event of a power failure when falling is inevitable, ReWalk will collapse to a sitting position slowly, which is called “graceful collapse”.27 Although this is a more controlled fall, it is not free from hazards, because most likely there will not be a chair right behind the user to sit on when the accident occurs. Indego and Ekso lock the knee joint and allow free movement of hip when power failure occurs. Although it provides a better solution if the user is in a standing posture when power fails, it is still a risk to lock the knee should power failure occur during the swing phase. Another difference among the three devices is their indications for use. All require a trained person to stand beside and supervise the user at all times. While ReWalk and Indego offer training programs and certificates to allow trained companions to give supervision, Ekso only allows users to be supervised by trained physical therapists in rehabilitation institutions.

Although many exoskeleton-related studies mention the risk of falls, most of them arrive at the conclusion that there is no risk of falls just because no falls were observed in data collection.12 It is likely that the safeguards and task conditions followed in those clinical trials will be distinct from those imposed by settings outside the clinic. Past studies were usually conducted in hospitals or rehabilitation centers where professionally trained personnel guided the protocols. However, ReWalk and Indego are not required to be operated in professional facilities. Therefore, the low number of falls and fractures in current clinical studies, where users have continuous expert supervision, may underestimate the real risk of adverse events among exoskeleton users in the community.21 As previously discussed, multiple “falls” (tether was triggered) were registered in a study using a prototype of Ekso.22 Changes have been made since this prototype to address the design flaws leading to falls. In a feasibility study of HAL, stroke patients occasionally stumbled during walking. The risk of actual falls in these studies was completely mitigated because of the overhead harness. The FDA has requested ReWalk to conduct a postmarket surveillance program to further monitor and study the risks of falls.37

Skin and soft tissue injury

As shown in Table 4, skin and soft tissue injury is the most frequent type of injury. It is universal as it happened to all listed devices and is repetitive, happening to several subjects in the same study. In some cases, skin damage happened repeatedly to the same subject,21 suggesting that the researchers could not avoid this problem even after noticing its occurrence.

Despite the prevalence of this type of injury, it has attracted little attention. Table 3 shows that only half of the clinical trials considered skin condition as an exclusion criterion. Skin and tissue injuries were usually dismissed as minor issues and did not affect the safety evaluation of exoskeletons.18 Many studies were able to prevent further damage by adding additional padded support to the area where the damage occurred.23,45 These easy but postinjury mitigations suggest that it is sometimes possible to avoid such injuries given prior knowledge of which part of the body is likely to get hurt. It is important that manufacturers systematically examine the cause and location of skin and soft tissue damages. Currently, it is difficult to summarize any pattern of skin and tissue damages given the information available and the lack of sensors in padded braces that could monitor forces at the physical interface. Even in the studies that do report them, they are usually briefly mentioned without specifying the frequency, cause, location, and seriousness of the damage. Of interest, exoskeletons with integrated pressure sensors have been proposed as a novel method to prevent skin injuries related to excessive pressure in mobility-impaired exoskeleton users.58 Force sensing arrays, integrated with wireless transmitters, were placed at exoskeleton joints to give alarm when excessive pressure occurs.

User error

User error is defined in ISO Standard 62366-1 as user’s unexpected action or lack of action that could lead to a different result than intended by the manufacturer or user. It can occur during normal use. For instance, a user may accidentally rotate their pelvis and shift their body weight. This may trigger false alarm movement in exoskeletons because they use such movements as a trigger to initiate a new gait cycle. Other possible errors include tripping over obstacles, wrong menu selection, and operating with low battery life. Thus, it is important to design a human–machine interface that is friendly and robust, independent of the technological fluency or attentional state of the user.

Caregivers and physical therapists accompanying the user during training may also make errors. They may choose wrong commands in settings, incorrectly fasten straps, or fail to support the user when he or she loses balance. In a bone fracture accident, the manufacturer suspected that one of the causes was that the therapist did not correctly secure the user’s ankles.56 Human factor validation testing is an important step in risk management according to FDA’s guideline for medical devices.59 While there are many wearable exoskeletons in development, there is little published information on this topic. Training sessions and labeling seem to be the only countermeasure from ReWalk, Indego, and Ekso. Concrete consideration and plans over this issue are still absent.

Bone fracture

The exoskeleton must be precisely aligned with the user’s joint so that there is minimal incorrect torque forced onto the joints. Misalignment can result in skin abrasion, sores,55 hairline fractures,21 or bone fractures.56 Currently, there are two reported bone fracture accidents. Both injured users had SCIs, and therefore did not notice the fracture immediately and continued to finish their scheduled training sessions. They both reported abnormal appearance of their legs later in the day, and discovered bone fracture through X-ray exams on the following day.

Medical exoskeleton users are particularly vulnerable to bone damage because it is common for SCI patients to experience osteoporosis, thus resulting in higher likelihood of bone fracture.60 More importantly, SCI patients lack the feedback of pain from lower limbs when excessive torque is applied. Contrary to the conclusion from a previous review study,18 we consider bone fracture to be a serious possible risk of using exoskeletons. Possible mitigation strategies include better strap design to minimize the chance of any misalignment and improving participant screening by excluding patients with severe osteoporosis by requiring DXA scans and X-rays to evaluate this risk.

Osteoporosis screening is only implemented in some studies. Unfortunately, there is no consensus in the guidelines with regard to what level of osteoporosis shall be considered an indicator to exclude subjects. More research and regulatory science are needed to find the optimal exclusion criteria.

Long-term secondary effects

With some conflicting opinions, it is hypothesized that exoskeletons have the potential to bring clinical change to users with disability. As shown in systematic reviews,20,34 recovery is observed after weeks of training in many studies. However, it is not clear how this change is compared to other traditional rehabilitation procedures.34 Meanwhile, other physical and mental conditions of the users may also change after using exoskeletons. Some subjects reported improvements in pain and bowel and bladder function after using ReWalk.40 One of the advantages of using exoskeletons for mobility rehabilitation is that they provide repetitive practice session after session. However, very few clinical studies have protocols longer than 6 months. So it remains unknown what the long-term effect is of using an exoskeleton. A review of protocols of body weight-support treadmill training interventions with robotic orthosis found that, in general, longer treatments provide better outcomes.61 Yet, the opposite conclusion was made in a review of exoskeletons used in stroke rehabilitation.16 A recent study found that there is neurological recovery after chronic SCI patients train with an exoskeleton for 12 months.62

Besides, osteoporosis/osteopenia is viewed as a relative contraindication for SCI patients being considered for exoskeleton ambulatory training because of a risk in bone fracture.18 Thus far, it is unclear what would happen when a person with low bone density repeatedly uses an exoskeleton. Unfortunately, there are only few long-term studies on the risks and benefits of powered exoskeletons. More studies are needed to understand how exoskeletons may change patients’ neurological status and biomechanical condition over time.

Regulations and standards

Manufacturers, users, and regulators

Exoskeleton manufacturers, users, and regulators are the three major players in the exoskeleton industry (Figure 1). “Manufacturers” are companies (ReWalk, Indego, Ekso, etc.), institutions (NASA X1,14 Kinesis,63 etc.), and many other labs and startups whose prototypes are still in early development. Currently, there are few evaluations across devices to compare their advantages and disadvantages.

Figure 1 Entities involved in the risk management of exoskeleton.

“Regulators” consist of government agencies and third-party organizations that create and update industry standards. In the USA, this occurs mostly between the FDA and the ISO. The FDA has directly recommended many ISO standards. For example, FDA’s guideline to the biological valuation of medical devices suggests following standard ISO 10993-1.64 Aside from interacting with manufactures, it is important for the FDA to include end users in its regulatory path. The FDA recognized the importance of patient-centric assessment and patient-reported outcomes in its recently issued guidance.65 Systematic studies in a top-down approach to collect users’ feedback across devices will help regulators and the industry to better understand the need and problems end users face.

The “user” group consists of individuals who use and potentially benefit from the device directly. There are also clinicians, who indirectly interact with the device and oversee its performance. Clinicians, especially physical therapists, benefit from the device as it decreases the amount of the physical labor required by them, making their work less physically intense and decreasing their risk of injury. However, the benefit compared to the imposed risk for the exoskeleton user remains to be seen. There is no strong evidence suggesting the usefulness of exoskeletons yet.17 There are cases where significant clinical improvement is found, but they are not consistent across studies.20 In ReWalk’s de novo application to the FDA, it is stated that “the probable benefits outweigh the probable risks” when the target population uses the device.27

As ordered by the FDA, a postmarket surveillance program for ReWalk is already underway.38 We encourage this type of communication between manufacturers and regulators to be carried out to a greater extent, because ultimately only data from significantly large user groups can reveal drawbacks and show the industry the right direction to proceed. We also expect clinical studies funded by the government to evaluate and compare commercially available exoskeletons. Independent studies from third-party research groups and discussions from independent panels can provide reliable information to the regulators. They can then make more informed regulations to provide safer devices. Currently, there is no consensus for evaluating the medical potential of exoskeletons as different metrics are typically used to assess benefits.20 Systematic evaluation of different devices is needed for a better and more transparent market.

Global overview of medical device regulations

While this review focuses on the USA market and regulations, the regulations in FDA’s counterparts in Europe and Japan are also summarized. Research labs in Europe have been developing several exoskeleton prototypes for years, such as H215 and Mindwalker.66 It is also common for exoskeletons to obtain CE clearance in the EU before obtaining FDA’s clearance in the USA, as has been the case for ReWalk, Ekso, HAL, and Rex. Japan is already famous for their innovation in various humanoid robots. HAL is arguably its most prestigious lower limb exoskeleton. Its mass production began before the founding of many other companies: more than 20 sets of HAL exoskeletons were in use at hospitals and rehabilitation centers in 2009.67 As opposed to the USA and Europe where exoskeletons are usually developed by labs and startups, there is a trend for industry giants in Asia to directly jump into this market. Honda’s R&D team is developing their stride management assistive device that helps the rotation of the hip joint. It has gone through a clinical trial.68 Samsung has applied for a USA patent for their wearable robot that features EMG control.69 Panasonic also announced development of several assistive robots, with plans to use them in elder care.70

In the USA, powered exoskeletons have been officially classified by the FDA as a Class II device with special controls.71 The special controls include 1) biocompatibility, 2) electromagnetic compatibility, 3) software validation, 4) geometry and material composition, 5) various nonclinical performance testing, 6) clinical testing, 7) training program, and 8) labeling.71 When a product is to be marketed in the USA, the company should first classify the device (Class II for exoskeletons) and prepare a premarket submission (de novo if it is a new category or 510(k) to claim SE to a currently approved medical device) for the FDA to review. The product has to wait for FDA clearance before marketing.

In the EU, there is no central government organization to issue certificates. Instead, medical devices are required to obtain the CE mark. CE marking on a product is a manufacturer’s declaration that the product complies with the essential requirements of the relevant European regulations. Products with CE can be legally placed on the EU market. The CE certificate of an exoskeleton can be obtained from a notified body, which is a third-party, independent group that specializes at the conformity assessment of a product. A comparison between the procedures in the USA and the EU is shown in the top panel in Figure 2. Except for the fact that certificates are issued by different bodies, their procedures are generally similar.

Figure 2 Procedures for obtaining medical device approval in the USA, EU, and Japan. The USA requires applications to be approved by a federal agency, namely the FDA, whereas the EU distributes the responsibility to many independent notified bodies. Japan’s government reviews reliability of the manufacturers both on site and via documents, while the USA and the EU leave that responsibility to manufacturers themselves. The bottom panel about Japan was adapted from the diagram on Page 11 in the materials of the 2011 AHC Workshop on Medical Devices. Tamura A. Understanding Japanese medical device requirements. 2011. Available from: https://www.pmda.go.jp/files/000164006.pdf.73


Abbreviations: CE, European Conformity; EU, European Union; FDA, US Food and Drug Administration; MHLW, Ministry of Health, Labour, and Welfare; PMDA, Pharmaceuticals and Medical Device Agency; QMS, quality management system.

The Japanese Ministry of Health, Labour, and Welfare (MHLW) is responsible for the device classification and issuing marketing approval for medical devices in Japan. Pharmaceuticals and Medical Devices Agency (PMDA) is the technical branch that performs the actual review, examination, data analysis, and so on to help MHLW’s measure. While third-party certification is allowed for low-risk medical devices, MHLW’s approval on the basis of PMDA review is required for high-risk medical devices. There is no direct information on how MHLW classifies powered exoskeletons. Yet according to its database, HAL was approved by MHLW in 2015.72 Therefore, MHLW’s review is the likely path for future exoskeletons seeking marketing approval in Japan.

The bottom panel in Figure 2 is an overview of the medical device approval process in Japan, adapted from materials of a PMDA workshop.73 A distinctive difference between MHLW’s and FDA’s approval processes is that PMDA performs on-site and document reviews of various good practice evaluations. These evaluations include Good Laboratory Practice/Good Clinical Practice/Good Post-Marketing Surveillance Practice/Good Postmarketing Study Practice compliance assessments and Good Manufacturing Practice/Quality Management System/Good Gene, Cellular, and Tissue-based Products Manufacturing Practice inspections, which are required by the FDA to be established and guaranteed solely by manufacturers themselves.74 The Japanese agency continues to monitor the compliance of these regulations after the market approval.

Standards recognized by the FDA

Although there are three devices cleared by the FDA for marketing in the USA, there are currently no standards that apply specifically to powered lower limb exoskeletons. Table 6 contains a list of existing standards recognized by the FDA for either Class II medical devices or lower limb prostheses. The standards applicable to prostheses are included as regulations for durability testing and cyclic loading testing.

Table 6 Standards recommended by the FDA


Notes: While the FDA has not recommended any standards specifically applicable to powered exoskeletons, we include current related standards that FDA recommends for Class II medical devices and lower limb prostheses. aAccording to the AAMI website, AAMI 60601-1 3rd ed. is identical to IEC 60601-1 but includes deviations to comply with US National Electric Code (http://www.aami.org/productspublications/ProductDetail.aspx?ItemNumber=1578). These two standards are followed by Indego and ReWalk, respectively.


Abbreviations: AAMI, Association for the Advancement of Medical Instrumentation; ANSI, American National Standards Institute; EMC, electromagnetic compatibility; EMI, electromagnetic interference; FDA, US Food and Drug Administration; IEC, International Electrotechnical Commission; ISO, International Organization for Standardization.

There are also Joint Working Groups that are currently working toward developing standards for rehabilitation robots. For example, Joint Working Group 36’s mission is to develop particular requirements for the basic safety and essential performance of medical robots.75

Special topic: pediatric exoskeletons

SCI and gait deficits are not restricted to the adult population. Pediatric SCI affects ~500 children aged <15 years every year in the USA.76 Cerebral palsy (CP) is a neurodevelopmental disease related to nonprogressive cerebral abnormalities that occur before birth or early in life, and it affects 2–3 children out of every 1,000.77 Effective interventions that can preserve or augment strength on a continuous basis for those with crouch gait from CP are needed.78 Passive orthoses have been studied and showed no significant benefits.79 It is hypothesized that the benefits obtained from a system like the Lokomat, in which the child is constrained between parallel bars and suspended above a treadmill by an upper body harness, will translate to a lower limb exoskeleton in which the child is granted more freedom of mobility. A single-blind randomized controlled trial provides the first evidence that upper limb robot-assisted therapy is effective in children with CP.80

Some exoskeleton developers have started to design special devices for the pediatric population. These designs are either explicitly for children or incorporate flexible aspects (eg, detachable segments) into the adult-scale designs, allowing children to wear the devices, for example, LokomatPro (https://www.hocoma.com/usa/us/products/lokomat/lokomatpro/pediatric-orthoses/); Atlas 2030 (http://www.marsibionics.com/products/?lang=en#/atlas-2030), a device developed by the Spanish National Research Council currently in preclinical phase (http://www.roboticstrends.com/article/worlds_first_kid_sized_exoskeleton_helps_children_walk); and a customized exoskeleton built by the NIH.78 As devices are developed and enter clinical trials, data will begin to emerge from these trials so that the risks and the benefits associated with pediatric exoskeletons can be better understood.

Pediatric exoskeletons, like their adult counterparts, inherently pose risks to users, such as falls and skin-related damage. Additionally, designing pediatric exoskeletons can often be more complex as additional challenges exist. Adult users of the normal exoskeletons are often individuals who possessed the ability to walk at one point in their lives. In the case of many children with CP, however, medical practitioners would be tasked with teaching the child to walk. Careful consideration is required about whether user interfaces and labeling of devices used for adults are applicable to children. Lastly, there are technical difficulties when it comes to adapting the structure and control approach for exoskeletons to match the cognitive–motor development of the child. The size, weight, and power of the motors used in current exoskeletons are inadequate for the pediatric population, especially small children.81

Conclusion

The industry of powered lower limb exoskeletons is emerging. Manufactures, users, and regulators need to adapt quickly. Since ReWalk was cleared by the FDA as a de novo device in the USA, Indego and Ekso have proved SE to ReWalk and have successfully obtained clearance for marketing from the FDA. It is likely that new exoskeleton systems will join the mobile powered exoskeleton industry in the near future. However, currently there is no clear definition of the term powered exoskeleton and no standards that directly apply to this type of device. We compiled related standards that the FDA recommends and encourage regulators and the industry to work together to release practical guidelines and standards for this field.

Meanwhile, in order for the FDA to make informed decisions, regulatory science of powered exoskeletons must advance. In this regard, more computational modeling, bench testing, preclinical and clinical studies, and postsurveillance reports from both manufacturers and independent groups are encouraged. Besides the need for more data, it is important that data are collected and reported in more systematical manner. Presently, there are vastly different inclusion and exclusion criteria and outcome measures used among the published clinical studies, even with the same brand of device. Adverse events are also reported with different levels of detail and methods.

Safety is the top concern in medical device development and regulation. More work is needed to address risk concerns such as falls, fractures, and long-term adverse effects of using exoskeletons. It is alarming that multiple accidents have caused bone fracture of the users. Risks such as user error and skin/tissue damage, although identified, have been often overlooked in past studies. Moreover, in order for powered exoskeletons to be deployed safely outside the clinic, it is critical that potential risks of deploying exoskeletons in rich, highly dynamic environments cohabited by humans and machines be identified and such risks mitigated. We hope this review will help spark constructive discussions leading to better exoskeleton designs and regulations and greater opportunities for this industry, and ultimately significant improvements in the quality of life of the users it serves.

Acknowledgment

This work was supported in part by Mission Connect – a TIRR Foundation.

Disclosure

The authors report no conflicts of interest in this work.

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