MDD to MDR Transition
Why is the modification in the regulation (MDD to MDR Transition) adapted?
History: You may be aware of the breast implant
scandal in France wherein instead of medical grade Silicon, a low-quality
Silicon was used as a raw material for breast implants which got ruptured and
there were several complaints filed which led to the recall of the device by the
manufacturer.
Because of these kinds
of incidents, the MODIFICATION to MDD came into the picture and it’s
called MDR, which is more comprehensive and detailed than MDD.
MDD Vs EU MDR
Context |
MDD |
EU MDR |
Articles |
23 |
123 |
Annexes |
12 |
17 |
Rules |
18 |
22 |
·
How do
we adapt to MDR?
·
Gap
analysis while considering additional requirements of MDR.
·
Refer
Annexure XVII of MDR
MDR focuses on the safety and performance assurance of the devices
placed on the market. MDR assures that the product causes no harm to the
customers. Clinical and Non-Clinical testing methods include Clinical
Investigation, PMCF studies, Literature Searches Screening and Appraisal, bench
tests, in-vitro tests, biocompatibility testing, and product-specific
performance Tests (if any) are utilized to establish clinical evidence for
demonstrating the safety and performance of the device. The Manufacturing
facility audits are conducted as per ISO 13485 to comply with Cleanroom
requirements and applicable standards. Corrective and Preventive Actions (CAPA)
needed to be taken depending upon the severity of complaints generated through
Field Safety Notices/Field Safety Corrective Actions. The IFUs and electronic
IFUs are to be supplied by the manufacturer. Product retractability with UDI implementation
has become a must for troubleshooting and the appropriate diagnosis of the
complaint or defect related to the product.
·
Let us
identify the requirements in MDD to MDR
transition.
·
The major
changes to be adapted in MDR.
·
MD
Classification
·
Clinical
Data Sources
·
Risk
Management
·
Process
Validation
·
Software
Validation
·
GSPR
checklist
·
Product Retraceability
·
Major
Inclusions in MDR
·
PRRC
·
SRN for
Economic Operators
·
Annexure
XVI includes products without an intended medical purpose like contact lenses,
brain stimulators, cosmetic products, etc.
·
Active
Implantable Medical Devices
·
Sterilization
·
EN ISO
13485 and MDSAP Requirements
·
Conformity
Assessment Routes
·
EUDAMED,
UDI and Labelling
·
Technical
Documentation
·
Clinical
Evaluation
·
Clinical
Investigation and PMCF
·
Reporting
of serious incidents or failures to member states and trend reporting
·
IFU and
eIFU Requirements
·
Cybersecurity
·
SSCP
linked to EUDAMED open to all end-users (including a layman)
·
GSPR
We at IZiel Healthcare
have a long-standing collaboration withObelis,a Belgium-based (European
Authorized Representatives) to provide a “One-Stop Solution” to fully support
Class I, IIa, IIb & III medical device manufacturers across USA, Europe
& Asia. This collaboration would ensure to obtain conformity with the MDR
(2017/745) requirements and maintain the CE Marking of global medical devices
through technical support, consultancy, representation, and device registration
services.
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