Regulatory Strategy
FDA alignment, HIPAA compliance, GDPR readiness, and local healthcare regulation compliance. Three-layer regulatory alignment ensures Regain's AI satisfies oversight requirements from device clearance through facility-level validation.
Core Principle: Regain does not exist in a regulatory vacuum. Three layers of healthcare AI oversight are emerging simultaneously. Popper is designed to satisfy or support all three -- not just the one where Regain has the closest relationship.
Three-Layer Regulatory Alignment
Healthcare AI oversight operates across three distinct layers. Each layer has different institutions, different requirements, and different things they care about. A compliant system must be coherent across all three.
Layer 1: Device / Regulatory / Evidence
Who: FDA (CDRH), CMS
Key Question: Is this AI product safe and effective as a device?
| Requirement | How Regain Addresses It |
|---|---|
| Regulatory Classification | Popper supervises decisions rather than making them. De Novo pathway for "clinical AI safety supervisor" (no predicate device). |
| No LLM in Safety Path | Popper uses deterministic policy evaluation (Safety DSL). No machine learning in the decision loop. |
| Defined Intended Use | Supervision of clinical AI proposals in cardiovascular care. Returns APPROVED / HARD_STOP / ROUTE_TO_CLINICIAN / REQUEST_MORE_INFO. |
| Post-Market Surveillance | Drift detection with baselines and thresholds. Audit trail with trace-linked events. Incident tracking. |
| Clinical Safety Evidence | 68-vignette pre-clinical benchmark designed by CSO. Validation protocol documented. |
Layer 2: Organizational AI Governance
Who: URAC, Joint Commission (via CHAI), NCQA
Key Question: Does the facility have AI governance policies and oversight structures?
| Requirement | How Popper Helps Facilities |
|---|---|
| Documented AI Oversight | Popper's audit trail provides documented evidence that AI outputs are independently supervised. Structured decision logs for governance committees. |
| Risk Assessment Evidence | Drift detection surfaces anomalies. Safe-mode provides documented response. Incident tracking records threshold breaches. |
| Lifecycle Management | Per-organization policy packs are versioned. Policy lifecycle plugin manages pack loading, updates, and retirement. |
| Vendor Management | Multi-tenant architecture with per-organization scope. Hermes contracts are vendor-agnostic by design. |
Layer 2 limitation: URAC and JC/CHAI verify that governance structures exist. They do not verify that AI is producing clinically accurate results. A facility can have a perfect governance committee and still run AI that systematically underperforms. Layer 2 checks the org chart. Layer 3 checks the clinical output.
Layer 3: Clinical-Depth / Facility-Level Validation
Who: IAC (cardiovascular), ACR (radiology -- ARCH-AI recognition program)
Key Question: Is this AI tool producing accurate results on this facility's patient population?
| Requirement | How Regain Supports It |
|---|---|
| Site-Specific Accuracy | Pre-deployment validation protocol with facility-representative patient samples. |
| Published Benchmarks | Performance measured against recognized clinical guidelines with documented results. |
| Ongoing Monitoring | Continuous performance tracking with threshold enforcement and automatic safe-mode. |
| Override Tracking | Every clinician override recorded with structured rationale for retrospective analysis. |
Compliance Readiness
Beyond the three-layer model, Regain maintains compliance readiness across major regulatory frameworks that apply to healthcare AI systems.
HIPAA Compliance
PHI redaction in audit trails. De-identified subject IDs in supervision requests. Separate access controls between systems. BAA-ready architecture.
GDPR Readiness
Data minimization in supervision contracts. Explainability through glass-box reports. Audit trail enables right-of-access requests. Architecture supports data residency requirements.
FDA Alignment
Pursuing De Novo authorization (TA1) and MDDT qualification (TA2). Deterministic safety path supports regulatory review. Complete audit trail for 510(k) submission readiness.
Local Healthcare Regulation
Per-organization policy packs adapt to local regulatory requirements. Multi-tenant architecture supports jurisdiction-specific rules. Hermes contracts are regulation-agnostic.
Dual-Track FDA Pathway
Regain pursues two parallel regulatory pathways, one for each agent, reflecting their fundamentally different architectures and risk profiles.
Explore Regulatory Partnership
Discuss how Regain's three-layer regulatory alignment maps to your organization's compliance requirements.