More Related Content Similar to Steps to Compliance with the European Medical Device Regulations (20) More from April Bright (20) Steps to Compliance with the European Medical Device Regulations2. Copyright © 2013 BSI. All rights
reserved.
1
OMTEC: The 12th Annual Orthopaedic Manufacturing &
Technology Exposition and Conference
June 15–16, 2016 / Donald E. Stephens Convention Center
Chicago, IL
Ibim Tariah Ph.D
3. Copyright © 2013 BSI. All rights
reserved.
2
Overview: Proposed European Medical Device
Regulations (MDR)
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3
Sources for MDR Update
Commission
• Proposal for a Regulation of
the European parliament and
of the Council on medical
devices, and amending
Directive 2001/83/EC,
Regulation (EC) No 178/2002
and Regulation (EC) No
1223/2009
• http://ec.europa.eu/growth/sectors/
medical-devices
Parliament
• 2012/0266(COD) -
02/04/2014 Text adopted by
Parliament, 1st reading/single
reading
• EP adopted by 547 votes to
19, 63 abstentions
• http://www.europarl.europa.eu
reference=2012/0266 COD
Council
• Consolidated draft for EPSCO
19 June 2015 - 400 pages
with many alterations and
additions
• Sept 2015 - Council’s full
‘General Approach’
• http://data.consilium.europa.eu/doc/
document/ST-12040-2015-REV-
1/en/pdf
• http://data.consilium.europa.eu/doc/
document/ST-12040-2015-ADD-
1/en/pdf
Foreseeable outcome – best guess of today
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4
MDR Timeline – Realistic Expectations:
2016
Q1/Q2
• Trialogue concludes
• Agreement on MDR & IVDR
• Agreement announced May 25th, 2016
• Final Text due end June / early July 2016
2016
Q3/Q4
• EC Administration
• Translation into all EU languages
2016 Q4
2017 Q1
• EU MDR & IVDR Enter into force
• 3 year transition for MDR and 5 year transition for IVDR
7. Copyright © 2016 BSI. All rights reserved.
6
Proposed Regulation
• 71 Whereas … = Why
• X Chapters of 91
Articles = What
• XVI Annexes = How
• Chapter I – Scope and Definitions
• Chapter II – CE Marking, Economic Operators,
Reprocessing
• Chapter III – Identification and Traceability of Devices
• Chapter IV – Notified Bodies
• Chapter V – Classification and Conformity Assessment
• Chapter VI – Clinical Evaluation and Investigation
• Chapter VII – Vigilance and Market Surveillance
• Chapter VIII – Cooperation between Member States
• Chapter IX – Confidentiality, Data Protection, Funding,
Penalties
• Chapter X – Final Provisions
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7
Proposed Regulation
• 71 Whereas … = Why
• X Chapters of 91
Articles = “What”
• XVI Annexes = “How"
• Annex I – General safety and performance requirements
• Annex II – Technical Documentation
• Annex III – EU Declaration of Conformity
• Annex IV – CE Marking of Conformity
• Annex V – European UDI System
• Annex VI – Requirements to be met by Notified Bodies
• Annex VII – Classification Criteria
• Annex VIII – Conformity Assessment – QMS Assurance and Technical
Documentation
• Annex IX – Conformity Assessment – Type Examination
• Annex X – Conformity Assessment – Product Conformity Verification
• Annex XI – Procedure for Custom-made Devices
• Annex XII – Certificates issued by a Notified Body
• Annex XIII – Clinical Evaluation and Post-market clinical follow-up
• Annex XIV – Clinical Investigations
• Annex XV – Products without an intended medical purpose
• Annex XVI – Correlation Table 90/385, 93/42 and Regulation
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8
1. Check Definition of Medical Device (Article 2)
2. Determine “Device Class” (Article 41, Annex VII)
3. Select “Conformity Assessment Procedure” (Article 42)
4. Identify Applicable “Essential Requirements” (Article 4, Annex I)
5. Assemble “Technical Documentation” (Annex II)
6. Apply Conformity Assessment Procedure (Annexes VIII, IX, X, XI)
7. Complete “Declaration of Conformity” (Article 17, Annex III)
8. Affix “CE Mark” (Article 18, Annex IV)
Regulation No ?/2016/EU
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9Copyright © 2012 BSI. All rights
reserved.
Proposed MDR Chapter I
Scope and Definitions
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10
Headlines – Proposed MDR Chapter I
Scope and Definitions
• Expansion of regulations to cover:
• Clinical investigations in Europe
• Adverse incident/vigilance requirements
• Cosmetic products - after Common Speciation (CS) published – Annex XV
• Remanufacture of devices – single use devices
• Many new definitions
• Intended alignment with GHTF/IMDRF
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‘Medical device’ means any instrument, apparatus, appliance, software,
implant, reagent, material or other article intended by the manufacturer to be
used, alone or in combination, for human beings for one or more of the
specific medical purposes of:
• diagnosis, prevention, monitoring, treatment or alleviation of
disease,
• diagnosis, monitoring, treatment, alleviation of or compensation for
injury or disability,
• investigation, replacement or modification of anatomy or of a
physiological or pathological process or state,
• providing information by means of in vitro examination of
specimens derived from the human body, including organ blood and
tissue donations
Article 2 – Medical Device
Article 1 excludes IVD
devices from this
Regulation
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12
and which does not achieve its principal intended action … by
pharmacological, immunological or metabolic means, in or on the human
body, but which may be assisted in its function by such means.
Products specifically intended for the cleaning, disinfection or sterilisation
of medical devices and devices for the purpose of control or support of
conception shall be considered medical devices.
Article 2 – Medical Device
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13
Article 1 – Scope – Annex XV – No Medical Purpose
• Contact lenses or other articles intended to be introduced into or onto the eye;
• Products intended to be totally or partially introduced into the human body through surgically invasive
means for the purpose of modifying the anatomy or fixation of body parts with the exception of
tattooing products and piercings;
• Substances, combinations of substances, or articles intended to be used for facial or other dermal or
mucous membrane filling by subcutaneous, submucous or intradermal injection or other introduction,
excluding those for tattooing;
• Equipment intended to be used to reduce, remove or destroy adipose tissue, such as equipment for
liposuction, lipolysis or lipoplasty;
• High intensity electromagnetic radiation (e.g. infra-red, visible light and ultra-violet) emitting
equipment intended for use on the human body, including coherent and non-coherent sources,
monochromatic and broad spectrum, such as lasers and intense pulsed light equipment, for skin
resurfacing, tattoo or hair removal or other skin treatment;
• Equipment intended for brain stimulation that apply electrical currents or magnetic or electromagnetic
fields that penetrate the cranium to modify neuronal activity in the brain.
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14
Safety & Performance Requirements
Annex I
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Annex I – Safety & Performance Requirements
1. Safe, Perform as Intended, State of the Art
2. Risk Reduction, Risk Management, Risk Control
3. Lifetime
4. Packaging
5. Evaluated Benefits of achieved performance > Known and
Foreseeable Risks & Undesirable Side Effects
6. Devices with no medical purpose – “shall not present any
risk or only the maximum acceptable risks”
6a. Machinery Directive – 2006/42/EC
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16
Annex I – Safety & Performance Requirements
7. Chemical, Physical & Biological Properties
8. Infection & Microbial Contamination
9. Devices incorporating a medicinal product and devices
composed of substances that are absorbed by or locally
dispersed in the human body
10. Devices incorporating materials of biological origin
11. Construction and environmental properties
12. Devices with a diagnostic or measuring function
13. Protection against radiation
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17
Annex I – Safety & Performance Requirements
14.Electronic programmable systems
15.Active devices and devices connected to them
16.Protection against mechanical and thermal risks
17.Protection against the risks posed to the patient or
user by supplied energy or substances
18.Protection against the risks posed by medical devices
intended by the manufacturer for use by lay persons
19.Information Supplied by the Manufacturer + Implant Card
(Article 16) + Promotional Material CE Marked (Article 18) + UDI (Article 24)
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18
Unique Device Identification – Article 24
• COMMISSION
RECOMMENDATION –
2013/172/EU on a common
framework for a unique device
identification system of medical
devices in the Union.
• Work toward GHTF / IMDRF
UDI
• FDA have completed
specifications
• EN ISO 15223 –
date format –
YYYY/MM/DD
*EU will probably allow GS1 & HIBCC
*GS1 & HIBCC accepted by Turkey, Japan, India, USA
+ Argentina, China, Canada, Brazil, Korea, Saudi Arabia
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19
Safety & Performance Requirements Check List
Safety & Performance Requirement
#1
Devices shall achieve the performance
intended by the manufacturer and be
designed and manufactured in such a way
that, during normal conditions of use, they
are suitable for their intended purpose.
They shall be safe and effective and shall
not compromise the clinical condition or the
safety of patients, or the safety and health of
users or, where applicable, other persons,
provided that any risks which may be
associated with their use constitute
acceptable risks when weighed against the
benefits to the patient and are compatible
with a high level of protection of health and
safety, taking into account the generally
acknowledged state of the art.
Standards & CS ConsideredFulfilled
LocationTest ReportsCSStandardsA/NA
Location of EvidenceDemonstration of ComplianceApplicable
Technical File
Record
Applicable Harmonised
Standards & Common
Specifications
Reports/
Justification
A/NA Location
Harmonised Standards – Article 6
Common Specifications – Article 7
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20Copyright © 2012 BSI. All rights
reserved.
Proposed MDR Chapter II
Economic Operators,
Reprocessing, CE Marking,
Free Movement
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21
Headlines – Proposed MDR Chapter II
Economic Operators, Reprocessing, CE Marking, Free Movement
• Solution to keep healthcare institution in-house devices out of CE Marking
• Harmonized Standards and Common Specifications provide PoC
• Explicit requirements for manufacturers:
• Risk management system
• Post market clinical follow-up
• Comply with UDI requirements
• Quality management system
• Authorized representative – permanent access to technical documentation
• Importer and distributor requirements
• Person responsible for regulatory compliance
• Single-use devices and re-processing
• Information to supplied with implantable devices
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22
Industry Concerns*: Single-use Devices and Re-processing
• Reprocessing potentially permitted inconsistently by EU Member States
• Where permitted the framework is identified in MDR
• re-processor is re-manufacturer
• Fully responsible as manufacturer under CE Marking
• Hospitals can deviate from requirements for in-house reprocessing
*“Industry Concerns” – not necessarily representative of BSI concerns/opinions
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23Copyright © 2012 BSI. All rights
reserved.
MDR Chapter III
Identification, Traceability,
Clinical Summary, EUDAMED
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24
Chapter III – Identification and Traceability of Devices – Article 27
– European Databank
Electronic
System on
Registration
/ Conformity
Assessment
Applications +
Summary of
Safety and
Clinical
Performance
Electronic System on UDI
Electronic
System on
Certificates
(issued,
reissued,
refused,
suspended,
withdrawn)
Electronic
System on
Vigilance
(incidents,
FSCA, FSN)
Electronic
System on
Market
Surveillance
(measures taken
by Member States)
Electronic
System on
Clinical
Investigations
(sponsors,
description of
investigational
device,
comparators,
purpose, status)
EUDAMED
Electronic System on Registration –
Manufacturers & Authorised Representatives – SRN
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25
Chapter III – Identification and Traceability of Devices –
Article 26 – Summary of Safety and Clinical Performance
• In the case of devices classified as
class III and implantable devices, the
manufacturer shall draw up a
summary of safety and clinical
performance.
• It shall be written in a way that is
clear to the intended user and, if
relevant, to the patient and shall be
available to the public via EUDAMED.
• The summary of safety and clinical
performance shall include at least the
following aspects:
• Manufacturer + SRN
• Device + UDI
• Intended Purpose, Indications, Contra-
indications
• Description, previous variant(s),
differences, accessories, other
products intended to be used in
combination
• Suggested position in treatment
options
• Harmonised Standards / Common
Specifications
• Summary of the Clinical Evaluation
Report + PMCF
• Suggested profile and training for
users
• Information on residual risks,
undesirable effects, warnings &
precautions
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26Copyright © 2012 BSI. All rights
reserved.
Proposed MDR Chapter IV
Notified Bodies
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27
Joint Audits Under 920/2013 EC
• Voluntary assessments continuing;
mandatory assessments increasing in
number
• Requirements still stepping up
• Notified Bodies
• merging
• stopping
• Suspended, de-designated
• scope reductions
• sales stop, specific regions stop, ….
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28Copyright © 2012 BSI. All rights
reserved.
Proposed MDR Chapter V
Classification and Conformity
Assessment
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29
Classification & Conformity Assessment – MDD
Competent Authority Assessment
Notified Body Conformity Assessment
Self-Certification
Class III
Class IIb
Risk
Class IIa
Class Im /Is
Class I
Custom Made
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Classification & Conformity Assessment – MDR
Commission Assessment
Competent Authority Assessment
Notified Body Conformity Assessment
Self-Certification
Class III
Class IIb
Risk
Class IIa
Class Im /Is
Class I
Custom Made
Custom Made
Implants
Class IIb
Implants
Class IIa?
Class III
Implants
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31
Changes to Rules:
Rule 2
• All non-invasive devices intended for channelling or storing blood,
body liquids, cells or tissues, liquids or gases for the purpose of
eventual infusion, administration or introduction into the body are
in class IIa:
• if they may be connected to an active medical device in class IIa or a
higher class,
• if they are intended for use for storing or channelling blood or other
body liquids or for storing organs, parts of organs or body cells and
tissues, except for blood bags, which are in class IIb.
• In all other cases they are in class I.
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Changes to Rules:
Rule 3
• All non-invasive devices intended for modifying the biological or chemical
composition of human tissues or cells, blood, other body liquids or other
liquids intended for implantation or administration into the body are in
class IIb, unless the treatment consists of filtration, centrifugation or
exchanges of gas, heat, in which case they are in class IIa.
• All non-invasive devices consisting of a substance or a mixture of
substances intended to be used in vitro in direct contact with human
cells, tissues or organs taken off from the human body or with human
embryos before their implantation or administration into the body are in
class III.
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Changes to Rules:
Rule 5
• All invasive devices with respect to body orifices, other than surgically
invasive devices which are not intended for connection to an active
medical device or which are intended for connection to a class I active
medical device:
• are in class I if they are intended for transient use,
• are in class IIa if they are intended for short-term use, except if they
are used in the oral cavity as far as the pharynx, in an ear canal up to
the ear drum or in the a nasal cavity, in which case they are in class I,
• are in class IIb if they are intended for long-term use, except if they
are used in the oral cavity as far as the pharynx, in an ear canal up to
the ear drum or in a the nasal cavity and are not liable to be absorbed
by the mucous membrane, in which case they are in class IIa.
• All invasive devices with respect to body orifices, other than surgically
invasive devices, intended for connection to an active medical device in
class IIa or a higher class, are in class IIa.
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Changes to Rules:
Rule 6
• All surgically invasive devices intended for transient use are in class IIa
unless they:
• are intended specifically to control, diagnose, monitor or correct a
defect of the heart or of the central circulatory system through direct
contact with these parts of the body, in which case they are in class
III,
• are reusable surgical instruments, in which case they are in class I,
• are intended specifically for use in direct contact with the heart or
central circulatory system or the central nervous system, in which case
they are in class III,
• are intended to supply energy in the form of ionising radiation in which
case they are in class IIb,
• have a biological effect or are wholly or mainly absorbed in which case
they are in class IIb,
• are intended to administer medicinal products by means of a delivery
system, if this is done in a manner that is potentially hazardous taking
account of the mode of application, in which case they are in class IIb.
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35
Changes to Rules:
Rule 8
• All implantable devices and long-term surgically invasive devices are in class IIb
unless they:
• are intended to be placed in the teeth, in which case they are in class IIa,
• are intended to be used in direct contact with the heart, the central circulatory
system or the central nervous system, in which case they are in class III,
• have a biological effect or are wholly or mainly absorbed, in which case they
are in class III,
• are intended to undergo chemical change in the body, except if the devices are
placed in the teeth, or to administer medicinal products, in which case they are
in class III,
• are active implantable devices or their accessories, in which case they are in
class III,
• are breast implants, in which case they are in class III,
• are total and partial joint replacements, in which case they are in class III, with
the exception of ancillary components such as screws, wedges, plates and
instruments,
• are spinal disc replacement implants and implantable devices that come into
contact with the spinal column, in which case they are in class III with the
exception of components such as screws, wedges, plates and instruments.
37. Copyright © 2016 BSI. All rights reserved.
36
Changes to Rules:
Rule 9
• All active therapeutic devices intended to administer or exchange energy are in class IIa
unless their characteristics are such that they may administer or exchange energy to or
from the human body in a potentially hazardous way, taking account of the nature, the
density and site of application of the energy, in which case they are in class IIb.
• All active devices intended to control or monitor the performance of active therapeutic
devices in class IIb, or intended directly to influence the performance of such devices
are in class IIb.
• All active devices intended to emit ionizing radiation for therapeutic purposes including
devices which control or monitor such devices, or which directly influence their
performance are in class IIb.
• All active devices that are intended for controlling, monitoring or directly influencing the
performance of active implantable devices are in class III.
38. Copyright © 2016 BSI. All rights reserved.
37
Changes to Rules:
Rule 17
• All devices manufactured *incorporating or consisting of tissues or cells of
human or animal origin, or their derivatives, which are non-viable or
rendered non-viable are in class III, unless such devices are
manufactured utilising tissues or cells of animal origin, or their derivatives,
which are non-viable or rendered non-viable that are intended to come
into contact with intact skin only.
39. Copyright © 2016 BSI. All rights reserved.
38
New Rule #19:
• All devices incorporating or consisting of nanomaterial are in class III
unless the nanomaterial is encapsulated or bound in such a manner that
it cannot be released into the patient’s or user's body when the device is
used within its intended purpose.
Article 2
• ‘nanomaterial’ means a natural, incidental or manufactured material containing
particles, in an unbound state or as an aggregate or as an agglomerate and where,
for 50 % or more of the particles in the number size distribution, one or more
external dimensions is in the size range 1-100 nm;
• Fullerenes, graphene flakes and single-wall carbon nanotubes with one or more
external dimensions below 1 nm shall be considered as nanomaterials;
• + ‘particle’ ‘agglomerate’ ‘aggregate’
40. Copyright © 2016 BSI. All rights reserved.
39
New Rule #21:
• Devices that are composed of substances or combinations of substances that
are intended to be introduced into the human body via a body orifice, or
applied on skin and that are absorbed by or locally dispersed in the human
body are:
• in class III if they, or their products of metabolism, are systemically absorbed
by the human body in order to achieve the intended purpose,
• in class III if they are intended to be introduced into the gastrointestinal tract
and they, or their products of metabolism, are systemically absorbed by the
human body,
• in class IIb in all other cases, except if they are applied on skin, in which case
they are in class IIa.
41. Copyright © 2016 BSI. All rights reserved.
40
New Rule #22:
• All invasive devices with respect to body orifices, other than surgically invasive
devices, which are intended to administer medicinal products by inhalation are
in class IIa, unless their mode of action has an essential impact on the efficacy
and safety of the administered medicinal product and those that are intended to
treat life threatening conditions, in which case they are in class IIb.
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41
New Rule #23:
• Active therapeutic devices with an integrated or incorporated diagnostic
function, which significantly determinates the patient management by the
device are in class III, such as closed loop systems or automated external
defibrillators.
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42
Conformity Assessment
Article 42
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43
Annex XI
Technical Documentation
Custom Made Devices
Name of Person Authorised to make out prescription, Name of Healthcare Institution
& Name of Particular Patient + Meets Requirements of Annex I
Article 42 Point 7
Annex XIII
PMS / PMCF / Incidents
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44
Annex XI
Technical Documentation
Class III Implantable – Custom Made Devices
Name of Person Authorised to make out prescription, Name of Healthcare Institution
& Name of Particular Patient + Meets Requirements of Annex I
Article 42 Point 7a
Annex VIII
QMS
Annex X – Part A
Production
Quality Assurance
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45
Annex II
Technical
Documentation
Class I Device
(non-sterile / no measuring function)
Declaration of Conformity (Annex III) & CE Marking (Annex IV)
Article 42 Point 5
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46
Declaration of Conformity (Annex III) & CE Marking (Annex IV)
Class I Device
(sterile / measuring function)
* Only aspects
related to sterility /
metrology
Article 42 Point 5
Annex II
Technical
Documentation
Annex VIII*
QMS
Annex X – Part A*
Production
Quality Assurance
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47
Class IIa Device
Annex II
Technical
Documentation
Declaration of Conformity (Annex III) & CE Marking (Annex IV)
Annex VIII
QMS
Annex II
Technical
Documentation *each
Category
Article 42 Point 4
Annex X – Part A
Production
Quality
Assurance
Annex X – Part B
Product
Verification
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48
Class IIb Device
Declaration of Conformity (Annex III) & CE Marking (Annex IV)
Annex VIII
QMS
Annex II
Technical
Documentation *each
Generic Device
Group
Article 42 Point 3
Annex IX
Type Examination
Annex X – Part A
Production
Quality
Assurance
Annex X – Part B
Product
Verification
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49
Class IIb Implantable Device
Declaration of Conformity (Annex III) & CE Marking (Annex IV)
Annex VIII
QMS
Annex VIII
Technical
Documentation *each
Generic Device
Group
Article 42 Point 3
Annex IX
Type Examination
Annex X – Part A
Production
Quality
Assurance
Annex X – Part B
Product
Verification
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50
Class III Device
(including those with medicinal substances, human tissues or animal tissues)
Annex IX
Type Examination
Declaration of Conformity (Annex III) & CE Marking (Annex IV)
Annex VIII
QMS
Annex VIII
Technical
Documentation
Article 42 Point 2
Annex X – Part A
Production
Quality
Assurance
Annex X – Part B
Product
Verification
Consultation – 2001/83/EC, 2004/23/EC, 722/2012/EU
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51
Class III Implantable Device*
(including those with medicinal substances, human tissues or animal tissues)
Annex IX
Type Examination
Declaration of Conformity (Annex III) & CE Marking (Annex IV)
Annex VIII
QMS
Annex VIII
Technical
Documentation
Article 42 Point 2
Annex X – Part A
Production
Quality
Assurance
Annex X – Part B
Product
Verification
Consultation – 2001/83/EC, 2004/23/EC, 722/2012/EU
Consultation Procedure – Annex VIII or Annex IX Section 6.0
53. Copyright © 2016 BSI. All rights reserved.
52Copyright © 2012 BSI. All rights
reserved.
Proposed MDR Chapter Chapter VI
Clinical Evaluation and Investigation
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53
Chapter I – Scope and Definitions – Article 2 – Clinical Evidence
Clinical
Evidence
Clinical
Evaluation
Clinical Data
• the clinical data and clinical evaluation
report pertaining to a medical device
• sufficient amount and quality to allow a
qualified assessment of whether the device
achieves the intended clinical benefit(s) and
safety, when used as intended by the
manufacturer
• a systematic and planned process to
continuously generate, collect, analyse and
assess the clinical data pertaining to a device
• to verify the safety and performance of the
device when used as intended by the
manufacturer
• clinical investigation on the device concerned
• clinical investigation reported in the scientific literature, of a
similar device for which equivalence to the device in
question can be demonstrated
• peer reviewed scientific literature on other clinical
experience of either the device in question or a similar
device for which equivalence can be demonstrated
• generated and verified from the manufacturer’s post-market
surveillance system
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54
Clinical Evidence
Clinical
Investigation
- Device
concerned
Clinical
Investigations
reported in
Scientific
Literature
- Demonstrated
equivalent devices
Peer reviewed
Scientific
Literature
- Device
concerned
- Demonstrated
equivalent devices
Information concerning the safety or performance that is generated from the use of a
device and that are sourced from the following:
+ Generated and verified from the manufacturer’s post-market surveillance system (PMCF).
*Article 49 has some other words that only allow publications from the SAME manufacturer
56. Copyright © 2016 BSI. All rights reserved.
55
For Class III implantable devices
the Notified Body’s Clinical
Evaluation Report, along with the
clinical evaluation documentation of
the manufacturer will be subject to
scrutiny from the EU Commission
57. Copyright © 2016 BSI. All rights reserved.
56
Chapter VI – Clinical Evaluation and Investigation – Article 49 – Clinical
Evaluation
Information concerning the safety or performance that is generated from the use of a
device and that are sourced from the following:
Clinical
Investigation
– device
concerned
Clinical
Investigations
reported in
Scientific
Literature
– demonstrated
equivalent
devices
Peer reviewed
Scientific
Literature
– device
concerned
– demonstrated
equivalent
devices
+ Generated and verified from the manufacturer’s post-market surveillance system
(PMCF).
In the case of
implantable devices and
devices falling within
class III, clinical
investigations shall be
performed except if the
device has been
designed by
modifications of a
device already marketed
by the same
manufacturer …
58. Copyright © 2016 BSI. All rights reserved.
57
Chapter VI – Clinical Evaluation and Investigation – Article
49 – Clinical Evaluation
• … and accepted by the Notified Body as being equivalent (Annex XIII), to the marketed device and
the clinical evaluation is sufficient to demonstrate conformity with the relevant safety and
performance requirements.
• With regard to the first subparagraph a manufacturer can seek to justify use of data from a
demonstrated equivalent device from another manufacturer only if they have a clear contract
in place with that manufacturer allowing full access to the technical documentation on an ongoing
basis.
• Except for class III and implantable devices, where demonstration of conformity with general
safety and performance requirements based on clinical data is not deemed appropriate, adequate
justification for any such exception shall be given based on the results of the manufacturer's risk
management and on consideration of the specifics of the interaction between the device and the
human body, the clinical performances intended and the claims of the manufacturer.
59. Copyright © 2016 BSI. All rights reserved.
58
Annex VIII – Clause 6 / Annex IX – Clause 6
ImplantableClassIII
• Manufacturer’s
Clinical
Evaluation
• NB Clinical
Evaluation
Report
• PMCF Plan
EUCommission
NBFurtherReview
CompleteConformity
Assessment
Notified
Body
Review
15
days
45
days
Notified Body
Review
• Benefit/Risk
Determination
• Consistency
with
indications
• PMCF Plan
No‘scientificopinion’
Notified
Body
Certificate
• Restrict
indications
• Limit duration
of certificate
• Undertake
specific PMCF
studies
• Adapt IFU or
Summary of
Safety and
Clinical
Performance
• Impose other
restrictions
• Duly justify if
advice not followed
Notified
Body
Certificate
Further‘scientificdata’required
60. Copyright © 2016 BSI. All rights reserved.
59
Annex XIII – Clinical Evaluations & PMCF
• These characteristics shall be
similar to such an extent that
there would be no clinically
significant difference in the
clinical performance and
safety of the device.
• Manufacturers must be able
to clearly demonstrate that
they have sufficient levels of
access to the data on
devices to which they are
claiming equivalence in order
to justify that claimed
equivalence.
• The clinical evaluation shall be
thorough and objective, considering
both favourable and unfavourable
data. Its depth and extent shall be
proportionate and appropriate to the
nature, classification, intended use
purpose, manufacturer’s claims and
risks of the device in question.
• A clinical evaluation can only be
based on clinical data of a similar
device for which equivalence to the
device in question can be
demonstrated. Technical, biological
and clinical characteristics shall be
taken into consideration for the
demonstration of equivalence:
• Technical
• Biological
• Clinical
Next slide
61. Copyright © 2016 BSI. All rights reserved.
60
Equivalence
Technical
• be of similar design
• used under similar
conditions of use
• have similar specifications
and properties (e.g.
physicochemical properties
such as intensity of energy,
tensile strength, viscosity,
surface characteristics,
wavelength, software
algorithms)
• use similar deployment
methods (if relevant)
• have similar principles of
operation and critical
performance requirements
Biological
• use same materials or
substances in contact with
the same human tissues or
body fluids
• for a similar kind and
duration of contact and
similar release
characteristics of
substances
• including degradation
products and leachables
Clinical
• used for the same clinical
condition or purpose
(including similar severity
and stage of disease)
• at the same site in the
body
• in a similar population
(including age, anatomy,
physiology)
• have same kind of user
• have similar relevant
critical performance
according to the expected
clinical effect for a specific
intended purpose
62. Copyright © 2016 BSI. All rights reserved.
61
Industry Concerns*: Scrutiny of clinical data for implantable class III
devices
• Potential delays, less predictable clearance of class III implantable devices
• No criteria for expert panel selection
• Duplicative assessment following Notified Body assessment
• Delays innovation and patient benefit
*“Industry Concerns” – not necessarily representative of BSI concerns/opinions
63. Copyright © 2016 BSI. All rights reserved.
62
Industry Concerns*: NB review of implantable class IIb devices
• Lead to significant review by NB’s of class IIb devices similar to class III’s
• Could be an oversight by Council
• If specific implantable devices need further NB scrutiny then up-classified to class III
as justified
• May overwhelm the NB system and be additional burden for SME’s
*“Industry Concerns” – not necessarily representative of BSI concerns/opinions
64. Copyright © 2016 BSI. All rights reserved.
63
Industry Concerns*: Clinical Evidence
• Clinical data excludes some sources of valid data – valid but unpublished: e.g.
registries, patient feedback
• New equivalence approach may lead to unnecessary clinical investigations – expensive,
unethical, not valid regulatory science perspective
• Clinician's may be unenthusiastic to conduct studies where data outcome is commonly
anticipated/expected
*“Industry Concerns” – not necessarily representative of BSI concerns/opinions
65. Copyright © 2016 BSI. All rights reserved.
64
Declaration of Conformity
Annex III
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65
Declaration of Conformity – Annex III
• Name, Single Registration Number and address of the
manufacturer;
• If applicable, name and address of the authorised representative;
• A statement that the declaration of conformity is issued under the
responsibility of the manufacturer;
• UDI – Article 24;
• Product and trade name, product code, catalogue number or other
unambiguous reference, including intended purpose;
• Risk class of the device in accordance with Annex VII;
• A statement that the device is in conformity with this Regulation
and, if applicable, with other relevant Union legislation that make
provision for the issuing of a declaration of conformity;
• References to the relevant harmonised standards / common
specifications used in relation to which conformity is declared;
• Where applicable, name and identification number of the notified
body, description of the conformity assessment procedure
performed and identification of the certificate(s) issued;
• Where applicable, additional information;
• Place and date of issue, name and function of the person who signs
as well as indication for and on behalf of whom he/she signs,
signature.
67. Copyright © 2016 BSI. All rights reserved.
66Copyright © 2012 BSI. All rights
reserved.
Proposed MDR Chapter VII
Vigilance and Market
Surveillance
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67
Chapter VII – Vigilance and Market Surveillance – Article 60a
• For any device, proportionate to the risk
class and appropriate for the type of
device, manufacturers shall plan, establish,
document, implement, maintain and
update a post-market surveillance system
which shall be an integral part of the
manufacturer’s quality management
system.
• The post-market surveillance system shall
be suitable to actively and systematically
gather, record and analyse relevant data
on the quality, performance and safety of
a device throughout its entire lifetime, to
draw the necessary conclusions and to
determine, implement and monitor any
preventive and corrective actions.
• Data gathered by the manufacturer’s post-
market surveillance system shall in
particular be used:
The technical documentation shall be
updated accordingly.
1.
• to update the risk/benefit, risk analysis and
risk management, design and
manufacturing information, IFU and labelling
2.
• to update the clinical evaluation
3.
• to update the summary of safety and clinical
performance
4.
• for the identification of needs for preventive,
corrective or field safety corrective action
5.
• when relevant, to contribute to the post-
market surveillance of other devices
6.
• to detect and report trends (vigilance)
69. Copyright © 2016 BSI. All rights reserved.
68
Technical Documentation
Annex II
70. Copyright © 2016 BSI. All rights reserved.
69
Technical Documentation – Annex II
• The technical documentation and, if applicable, the (STED) to be drawn up by the manufacturer
shall include:
1. DEVICE DESCRIPTION, SPECIFICATION, VARIANTS & ACCESSORIES
• Device description and specification
• Reference to previous / similar generations of the device
2. INFORMATION SUPPLIED BY THE MANUFACTURER
3. DESIGN AND MANUFACTURING INFORMATION
4. GENERAL SAFETY AND PERFORMANCE REQUIREMENTS
5. RISK/BENEFIT ANALYSIS AND RISK MANAGEMENT
6. PRODUCT VERIFICATION AND VALIDATION
• Pre-clinical and clinical data
• Additional information in specific cases
71. Copyright © 2016 BSI. All rights reserved.
70
Certificates & CE Mark
Annex XII & Annex IV
72. Copyright © 2016 BSI. All rights reserved.
71
Certificates Issued by a Notified Body – Annex XII:
• name, address and identification number of
the notified body;
• name and address of ONE manufacturer
and, if applicable, of the authorised
representative;
• unique number identifying the certificate;
• single registration number of the
manufacturer
• date of issue;
• date of expiry;
• data needed for the unambiguous
identification of the device(s)
• Product Specific – clear identification (name,
model, type) of device, intended purpose
(same as in IFU), risk classification and UDI
• Quality System – identification of device or
groups of devices, risk classification and for
Class IIb the intended purpose
• if applicable, reference to a replaced
previous certificate;
• reference to this Regulation and the
relevant Annex according to which the
conformity assessment has been carried
out;
• examinations and tests performed, e.g.
reference to relevant standards / test
reports / audit report(s);
• if applicable, reference to the relevant parts
of the technical documentation or other
certificates required for the placing on the
market of the device(s) covered;
• if applicable, information about the
surveillance by the notified body;
• conclusions of the notified body’s conformity
assessment with regard to the relevant
Annex;
• conditions for or limitations to the validity of
the certificate;
• legally binding signature of the notified
body according to the applicable national
law.
73. Copyright © 2016 BSI. All rights reserved.
72
Headlines – Proposed MDR Chapter VIII, IX, X
• Chapter VIII
• Cooperation, MDCG, Expert Panels
• Chapter IX
• Confidentiality, Data Protection, Funding, Penalties
• Chapter X
• Final Provisions
• Implementation timetable for UDI
• Transition arrangements
74. Copyright © 2016 BSI. All rights reserved.
73
Industry Concerns*: Legacy – Established Technology
• Transitioning to compliance with MDR
• First assessment against MDR
• Longstanding safe III devices with no original clinical studies
• Clinical data derived from post-market
• Lack of planned PMCF
• Disconnect between definitions of clinical data under MDD and MDR
• Potential to overwhelm the system
*“Industry Concerns” – not necessarily representative of BSI concerns/opinions
75. Copyright © 2016 BSI. All rights reserved.
74
Other Considerations
• Manufacturers update technical documentation, systems and processes
• General Safety and Performance Requirements
• Including labelling requirements e.g. SRN, UDI, CMR substances etc.
• Technical Documentation and Technical Documentation on PMS
• Notified Bodies conduct conformity assessment & assessment of technical
documentation
• Assessing legacy devices – gaps to be addressed – new requirements and
PMS
• CE Certificates issued against MDR
• Aligning expectations with new realities
• Pre-market scrutiny / clinical expectations
• Resources to achieve and maintain compliance
76. Copyright © 2016 BSI. All rights reserved.
75
How BSI is responding
• Providing input of practical concerns to decision makers / influencers
• Recruiting product experts
• Preparing for additional Notified Body reviews
• Reviewing up-classified devices
• Thoroughly understanding expectations of new clinical scrutiny process for class III
implantable devices
• Resources to review
• Class IIb implantable technical documentation
• Clinical and safety summary reports
• Annual safety update reports
• Upgrade conformity assessment of all existing QMS
• Staying closely involved and sharing information with stakeholders
77. Copyright © 2016 BSI. All rights reserved.
76
Article 94
Transition 93/42/EEC & 90/385/EEC Medical
Devices Regulation
78. Copyright © 2016 BSI. All rights reserved.
77
Article 94 – Transitional provisions Point 2 - 1
Year 6Year 5Year 4Year 3Year 2Year 1
OJ
Entry into Force
Adoption
Date of
Application
Year -1
Certificates under 90/385/EEC and 93/42/EEC before MDR Adoption: 5yrs
Certificates under 90/385/EEC and 93/42/EEC before MDR Adoption: 5yrs
• Certificates issued by notified bodies in accordance with Directives 90/385/EEC and 93/42/EEC
prior to the entry into force of this Regulation shall remain valid until the end of the period
indicated on the certificate, except for certificates issued in accordance with Annex 4 of Directive
90/385/EEC or Annex IV of Directive 93/42/EEC which shall become void at the latest two years
after the date of application of this Regulation. Certificates issued by notified bodies in accordance
with Directives 90/385/EEC and 93/42/EEC after the entry into force of this Regulation shall remain
valid until the end of the period indicated on the certificate, which shall not exceed five years from
its delivery. They shall however become void at the latest two five years after the date of
application of this Regulation.
79. Copyright © 2016 BSI. All rights reserved.
78
• Certificates issued by notified bodies in accordance with Directives 90/385/EEC and 93/42/EEC
prior to the entry into force of this Regulation shall remain valid until the end of the period
indicated on the certificate, except for certificates issued in accordance with Annex 4 of Directive
90/385/EEC or Annex IV of Directive 93/42/EEC which shall become void at the latest two years
after the date of application of this Regulation. Certificates issued by notified bodies in accordance
with Directives 90/385/EEC and 93/42/EEC after the entry into force of this Regulation shall remain
valid until the end of the period indicated on the certificate, which shall not exceed five years from
its delivery. They shall however become void at the latest five years after the date of application of
this Regulation.
Article 94 – Transitional provisions Point 2 - 3
Year 6Year 5Year 4Year 3Year 2Year 1
OJ
Entry into Force
Adoption
Date of
Application
Year -1
MDD/AIMD Certificates after MDR Adoption: 5yrs
MDD/AIMD Certificates after MDR Adoption: 5yrs
80. Copyright © 2016 BSI. All rights reserved.
79
Article 94 – Transitional provisions Points 3 and 4
• By way of derogation from Directives 90/385/EEC and 93/42/EEC, devices which comply with this
Regulation may be placed on the market before its date of application.
• Devices which were lawfully placed on the market pursuant to Directives 90/385/EEC and
93/42/EEC prior to the date referred to in Article 97(2) may continue to be made available until 5
years after that date.
• By way of derogation from Directives 90/385/EEC and 93/42/EEC, conformity assessment bodies
which comply with this Regulation may be designated and notified before its date of application.
Notified bodies which are designated and notified in accordance with this Regulation may apply the
conformity assessment procedures laid down in this Regulation and issue certificates in accordance
with this Regulation before its date of application.
Year 6Year 5Year 4Year 3Year 2Year 1
OJ
Entry into Force
Adoption
Date of
Application
Year -1
MDR Certificates after Adoption before Application: 5yrs
MDR Certificates after Adoption before Application: 5yrs
81. Copyright © 2016 BSI. All rights reserved.
80
Article 94 – Transitional provisions Points 3 and 4
• By way of derogation from Directives 90/385/EEC and 93/42/EEC, devices which comply with this
Regulation may be placed on the market before its date of application.
• Devices which were lawfully placed on the market pursuant to Directives 90/385/EEC and 93/42/EEC prior
to the date referred to in Article 97(2) *date of application may continue to be made available until 5 years after
that date.
• By way of derogation from Directives 90/385/EEC and 93/42/EEC, conformity assessment bodies which
comply with this Regulation may be designated and notified before its date of application. Notified bodies
which are designated and notified in accordance with this Regulation may apply the conformity
assessment procedures laid down in this Regulation and issue certificates in accordance with this
Regulation before its date of application.
Year 6Year 5Year 4Year 3Year 2Year 1
OJ
Entry into Force
Adoption
Date of
Application
Year -1
MD/AIMD prior to Application 5yrs
MD/AIMD prior to Application: 5yrs
*Same as Point 2-3?
83. Copyright © 2016 BSI. All rights reserved.
82
Name: Ibim Tariah Ph.D
Title: Technical Director, HealthCare Solutions
Address: BSI Group Americas Inc,
12950 Worldgate Drive,
8th Floor Monument II
Herndon, VA 20170.
USA.
Mobile: +1 703 674 1994
Email: Ibim.Tariah@bsigroup.com
Links: www.bsigroup.com
Contact Us