IVDD revision changes to the European regulation of in-vitro diagnostic (IVD) Medical Devices. Med-Info. TÜV SÜD Product Service GmbH

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Med-Info International expert information for the Medical Device industry IVDD revision changes to the European regulation of in-vitro diagnostic (IVD) Medical Devices The current regulatory framework for IVDs is going to be revised The current regulatory framework for the handling of invitro diagnostic (IVD) Medical Devices in the EU is about to be repealed and replaced. Directive 98/79/EC on in-vitro diagnostic Medical Devices, which the member states have transposed into national law through national legal acts such as the German Medical Devices Act, has been mandatory for more than ten years. Throughout this period only a few amendments have been made, such as the extension of the scope of the Directive by adding vcjd assays for blood screening. The legal framework conditions for in-vitro diagnostic Medical Devices are currently undergoing major changes, some of them already effective, which will result in a complete revision of the regulatory framework and the publication of an EU regulation on in-vitro diagnostic Medical Devices in a period of time not yet foreseeable with any precision. Parallel to this process, the European legislation for Medical Devices will also be changed accordingly. In spite of the justified criticism concerning the current regulatory framework for IVDs, the application of the Directive has achieved a relatively high level of quality for IVDs and Medical Devices within the EU. What is the motivation behind the changes? There is a number of reasons necessitating a revision of the regulatory framework, the most important from the author s point of view being: An update and revision of the Directive to make it more flexible has been planned for some time. The EU member states interpret and implement the current rules in different ways. Market conditions have changed and new products, e.g. diagnostic services, are being developed. There are discrepancies with regard to regulations and rules developed in the meantime governing IVDs on international level. Various scandals related to Medical Devices have brought market supervision and the work of Notified Bodies in charge of the assessment of Medical Devices to the attention of the public. The last aspect in particular is characterized by special dynamism which, in turn, triggered additional actions that will be addressed further below. Preparation for the revision of the legislation The impending revisions were initiated by the European Commission which launched a public consultation in Summer 2010 to seek the views of stakeholders on 19 items concerning IVD regulations, including risk-based classification, obligatory assessment of the quality management system of manufacturers, exemptions for devices manufactured and used only within the same health institution ( in-house tests ), genetic tests, tests and testing services offered to lay persons, and companion diagnostics. This already illustrates some of the items for which new regulations were expected. Interested parties were given ten weeks (up to September 15, 2010) to respond to these questions. The evaluation of the consultation was published on February 23, 2011, followed by a period of apparent calm. TÜV SÜD Product Service GmbH

Finally, on September 23, 2012, the European Commission Proposal for a regulation on in-vitro diagnostic Medical Devices COM(2012) 541 final was published at the same time as the proposal for a regulation on Medical Devices. This was the starting point for public and parliamentary discussions. The EU Commission Proposal initiates a fundamental change in the European legislative framework for invitro diagnostic Medical Devices: In contrast to the requirements of the IVD Directives which still had to be transposed into national law by the EU member states, the rules of the IVD Regulation will become effective immediately throughout all EU member states without requiring transposition into national law, thus resulting in fewer national regulations as the minimum effect. While many changes will specifically apply to in-vitro diagnostic Medical Devices, others will apply equally to both Medical Devices and IVDs. The upcoming changes for in-vitro diagnostic Medical Devices will be very farreaching, particularly because of the new risk-based classification of Medical Devices. The Commission Proposal for a regulation on in-vitro diagnostic Medical Devices The EU Commission s proposal includes a multitude of changes that can only be touched upon very briefly in this information leaflet. The changes concern the following aspects: Scope of the devices affected - Diagnostic services, distance (Internet-based) diagnostic services, companion diagnostics, genetic tests - In-house manufacturing restriction of the exemption existing under IVDD Article 1 (5) to devices in classes ABC that are manufactured and used exclusively under the health institution s single quality management system (care, treatment, or promotion of public health), provided the health institution is compliant with the ISO 15189 standard or a similar standard recognized as equivalent Introduction of new/innovative roles and responsibilities - Rules for the supply chain (supply chain, importers, distributors) - Commission: authorization to issue implementing acts - Medical Device Coordination Group (MDCG) (comprising experts appointed by the member states) to harmonize the interpretation and procedure - Reference laboratories to verify compliance of class D devices with the applicable Common Technical Specifications (CTS), carry out tests on samples and batches of class D devices, provide scientific advice on the state of the art, etc. More stringent criteria for the designation and monitoring of Notified Bodies Change of classification to a risk-rule-based classification system build on the principles developed by Global Harmonisation Task Force (GHTF) and providing for the classification of IVDs into four classes (A to D) according to their risk potential. Even though the classification rules still require further clarification, we expect to see a significant rise in the number of devices assigned to the second highest class (C). Given this, the number of devices that must undergo conformity assessment with the involvement of a Notified Body will increase considerably. Conformity assessment procedures - Assessment of the manufacturer s quality management system mandatory from class B upwards - Scrutiny mechanism for class D Medical Devices: selective monitoring of assessment by the MDCG - Special procedure for class A Medical Devices with a measuring function, Point-of-Care (POC) devices and sterile devices - Introduction of procedures for companion diagnostics including the obligation to consult a competent authority in the field of medicinal products. - Additional conformity assessment procedure to enable parallel imports - Abolition of EC verification Functioning of Notified Bodies - Unannounced audits - Examination of device samples also taken from the market - Regular change of the auditor team Product-related requirements (frequently concerning clarification) - Essential requirements - Technical documentation - Clinical trials Introduction of a (qualified) person responsible for regulatory compliance and/or an EU representative (Article 13) Unique Device Identification (UDI) Introduction of a system to ensure the identification and traceability of devices (UDI System)

Further requirements of the EU Parliament In its first reading, the EU Parliament called for significantly stricter requirements compared to those in the Commission Proposal, e.g.: Establishment of special Notified Bodies for future class D products (notified with the involvement of the European Medicines Agency, EMA) Generally stricter requirements for the qualification and supervision of Notified Bodies Additional establishment of an Assessment Committee for Medical Devices (ACMD) Replacement of the scrutiny mechanism with case-bycase assessment by the ACMD Further-reaching duties of disclosure, particularly for manufacturers and Notified Bodies Shortening of the transition period to three years Increase of the level of detail of the specifications It remains to be noted that at present many aspects some even essential have not been clarified in detail. Status of the current opinion process on the IVD Regulation Opinion-forming in the legislative process is slow because the EU Commission, the EU Parliament, and the Council of the European Union must agree on the content of the IVD Regulation. While the Commission Proposal and the EU Parliament s proposed changes concerning the proposal are now available, the EU Council has not yet arrived at a common view concerning the overall package, so that the trialogue which has been intended for some time with a view to speeding up the process has not yet been able to start. According to the press release of the EU Council (GR) on its meeting on June 19/20, 2014, the Council aimed to arrive at a joint position on the drafts of the two regulations on Medical Devices and in-vitro diagnostic Medical Devices in autumn 2014. The process so far and the next steps in the legislation procedure are listed below: September 23, 2012: Commission Proposal April 2, 2014: first reading of the European Parliament completed May 25, 2014: European Parliament elections Formation of the new political groups in the EP and election of the rapporteurs Decision of the new EP on the continuation/restart of the process Autumn 2014 (November): renewal of the EU Commission Autumn 2014: Council opinion on the draft Autumn 2014 (probably rather in December): start of the trialogue aiming at early agreement in the second reading A glance at the general legislative procedure of the EU outlined in Article 294 of the Treaty on the Functioning of the European Union proves interesting: Commission Proposal First reading (no time limit) - Parliament s position (available) - Council position (still pending) Second reading - Within three months of the communication of the Council s position: EP expresses its position. - Within three months of receiving the EP s amendments, the Council approves the amendments or convenes a meeting of the Conciliation Committee within six weeks (the Council shall act unanimously regarding the amendments on which the Commission has delivered a negative opinion). - The Conciliation Committee, comprising members of the EP and the Council, must agree on a joint text within six weeks of being convened. Third reading - Within six weeks after approval of a joint text by the Conciliation Committee: approval and adoption by Council and EP The periods mentioned above can be extended from three to four months and from six to eight weeks respectively. Owing to the complexity of the subject, the deadlines, and the time needed for documentation, the author expects the legislative procedure to take at least one year from the submission of the Council s position, provided the process is not terminated prematurely. Further measures taken by the Commission joint action plan In awareness of the length of legislative procedures and triggered by the scandal caused by fraudulent breast implants (PIP) as well as the problems related to hip implants, the Commission, in consultation with the Council,

passed a joint action plan under the existing Medical Device legislation, also called Dalli Action Plan in reference to the then acting EU Health Commissioner. The actions concern the Commission, the member states, and Notified Bodies, and target: Function of Notified Bodies - Stricter rules for the designation of Notified Bodies - Re-assessment of Notified Bodies that evaluate devices in the highest risk class - Clarification of the responsibilities of the Notified Bodies - Provision of vigilance information to the Notified Bodies Strengthening of market surveillance by the member states Improvement of the coordination of activities by the member states More transparency and improved communication of incidents In view of these developments a Code of Conduct, defining a standard for the qualification of personnel and the conduct of assessment, and ensuring independent verification, was agreed, originally by five Notified Bodies including TÜV SÜD Product Service. To facilitate implementation of the planned actions, the Commission published the following three documents: Commission Implementing Regulation 920/2013/EU of September 24, 2013, on the designation and supervision of Notified Bodies under Council Directive 90/385/EEC on active implantable Medical Devices and Council Directive 93/42/EEC on Medical Devices (even though the scope of this Regulation does not include the IVD Directive, the Regulation is expected to impact on the Notified Bodies for IVDs which mostly form part of the Notified Bodies for Medical Devices) Commission Recommendation 2013/473/EU of September 24, 2013 on the audits and assessments performed by Notified Bodies in the field of Medical Devices Commission Recommendation 2013/172/EU of April 5, 2013 on a common framework for a unique device identification system of Medical Devices in the Union. This recommendation facilitates the establishment of a UDI system. The requirements defined in these documents, in particular the requirements concerning the Notified Bodies and their activities, anticipate some of the provisions expected in the IVD Regulation. The implementing regulation and the recommendation on audits and assessments will be addressed in greater detail below. Implementing Regulation 920/2013/EU includes detailed provisions governing the designation and supervision of the Notified Bodies. It came into effect on October 15, 2013, for extensions of designations on December 25, 2013. Key changes include the assessment of Notified Bodies by joint audit teams with the involvement of representatives of authorities from other member states and the Commission, and the Commission s right to overrule decisions by the national designating authorities of the member states. Commission Recommendation 2013/473/EU on the audits and assessments performed by Notified Bodies in the field of Medical Devices is currently being implemented and concerns product assessment, assessment of the quality system, and unannounced audits. According to the Commission, this recommendation does not create any new rights and obligations, even though some of the stakeholders do not agree with this statement. However, many stakeholders are actually asking whether a recommendation can have binding character. Even though the title of the document does not sound like an obligation, the recommendation has binding character as the member states are called upon to supervise the practice of the Notified Bodies with respect to this recommendation and consider it in designations and extension of designations. While this recommendation does not include any major changes in product assessment in the author s opinion, it defines new focuses for the assessment of the quality assurance system. These focuses primarily aim at tracking the quantities of crucial raw materials, in cases where their replacement may result in risks, and monitoring of the supply chain and the legal manufacturer s obligations associated therewith. Unannounced audits will become obligatory in addition to initial, surveillance, or re-certification audits, and must be carried out once every three years including critical subcontractors and crucial suppliers if necessary.

Unannounced audits should be carried out by two auditors and take at least two days. They should focus on the conformity of a sample taken from ongoing manufacturing processes with the technical documentation and the legal requirements, as well as on traceability. In addition, indepth testing of at least two critical work processes is required. If necessary, the Notified Body should undertake a test in accordance with the testing procedures defined by the manufacturer in the technical documentation to determine conformity; the test may also be performed by the manufacturer, its critical subcontractor, or crucial supplier under observation of the Notified Body. For products with an existing product assessment, testing by the Notified Body of samples of these products taken from ongoing production is obligatory. Unless they have already started to do so, Notified Bodies will carry out their first unannounced audits this year. Further information: http://www.tuv-sud.com/unannouncedaudits Final note The IVD Regulation will bring major changes, even though the details have not yet been agreed and the date when these changes will come into effect as well as the transition periods are still open. Some ideas of the EU Parliament go far beyond the Commission s Proposal; however, the Council s opinion on the Commission s proposal is still open in many respects. Some of the changes intended in the IVD Regulation have already been implemented and will come into effect at short notice. One thing is certain: The costs and the efforts required to reach and supervise Regulatory Compliance will increase noticeably for all stakeholders manufacturers, Notified Bodies, and authorities. Your contact partner at TÜV SÜD Product Service can provide further information. Dr. Dieter Schönwald Phone: +49 89 5008-4241 Email: dieter.schoenwald@tuev-sued.de TÜV SÜD Product Service GmbH, Medical and Health Services, Ridlerstr. 65, 80339 Munich www.tuev-sued.com/medinfo Med-Info November 2014/23 EU