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Medical Device Vigilance Definitions and legal basis 1.1. Organigramme 1.2. Legal basis 1.3. Definitions 1.3.1. Materiovigilance 1.3.2. – PowerPoint PPT presentation

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Medical Device Vigilance
  • Definitions and legal basis
  • 1.1. Organigramme
  • 1.2. Legal basis
  • 1.3. Definitions
  • 1.3.1. Materiovigilance
  • 1.3.2. Medical Device
  • 1.3.3. Corrective Action
  • 1.3.4. Field Safety Corrective Action (FSCA)
  • 1.3.5. Field Safety Notice (FSN)
  • 2. What shall be notify?
  • 3. Who should be notify?
  • 4. When must incidents be notified?
  • 5. How should incidents be notified?
  • 5.1. Users
  • 5.2. Manufacturers, distributors, authorised
    representatives

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Medical Device Vigilance
  • 1. Definitions and legal basis

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1. Definitions and legal basis
  • 1.1 Organigramme

DG PRE authorisation
DG POST authorisation
DG INSPECTION
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1. Definitions and legal basis
  • 1.2 Legal basis
  • Royal decrees
  • Royal decree 18/03/1999 (art. 11) Medical Device
    (MD)
  • Royal decree 15/07/1997 (art. 12) Active
    Implantable Medical Device (AIMD)
  • European Directives
  • Directive 93/42/EEC (MD)
  • Directive 90/385/EEC (AIMD)
  • Other
  • Guideline MEDDEV 2.12-1 rev 6 not legally
    binding

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1. Definitions and legal basis
  • 1.3 Definitions
  • 1.3.1 Materiovigilance
  • The purpose of materiovigilance is to study and
    follow incidents that might result from using
    medical devices. It enables dangerous devices to
    be withdrawn from the market and to eliminate
    faults in medical devices with the intention of
    constantly improving the quality of devices and
    providing patients and users with increased
    safety.
  • Materiovigilance only refers to medical devices
    whereas pharmacovigilance refers to medicines.

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1. Definitions and legal basis
  • 1.3.2 Medical Device
  • Medical device is defined as any instrument,
    equipment, material or other article used on its
    own or jointly, including software required for
    it to function correctly, which is intended by
    the manufacturer to be used on humans for the
    following purposes 
  • for diagnostic, prevention, control, treating or 
    diminishing an illness
  • for diagnostic, control, treating, for
    diminishing or compensating an injury or
    handicap, 
  • for studying, replacing or modifying part of the
    anatomy or a physiological process
  • for mastering conception
  • and whose principal intended action in or on the
    human body is not obtained by pharmacological or
    immunological means or by metabolism but whose
    function can be assisted in such a way.
  • More definition in the art. 1 of the law 
    accessory, active medical device, active
    implantable medical device, custom made device.

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1. Definitions and legal basis
  • 1.3.3 Corrective Action
  • Action to eliminate the cause of a potential
    non-conformity or other undesirable situation.
  • NOTE1 There can be more than one cause for
    non-conformity.
  • NOTE 2 Corrective action is taken to prevent
    recurrence whereas preventive action is taken to
    prevent occurrence.

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1. Definitions and legal basis
  • 1.3.4. Field Safety Corrective Action (FSCA)
  • A FIELD SAFETY CORRECTIVE ACTION is an action
    taken by a MANUFACTURER to reduce a risk of death
    or serious deterioration in the state of health
    associated with the use of a MEDICAL DEVICE that
    is already placed on the market. Such actions
    should be notified via a FIELD SAFETY NOTICE.
  • The FSCA may include
  • - the return of a MEDICAL DEVICE to the supplier
  • - device modification
  • - device exchange
  • - device destruction
  • - retrofit by purchaser of MANUFACTURER's
    modification or design change
  • - advice given by MANUFACTURER regarding the use
    of the device (e.g. where the
  • device is no longer on the market or has been
    withdrawn but could still possibly be in use)
  • A device modification can include
  • - permanent or temporary changes to the labelling
    or instructions for use
  • - software upgrades including those carried out
    by remote access
  • - For implantable devices it is often clinically
    unjustifiable to explant the device.
  • Corrective action taking the form of special
    patient follow-up, irrespective of
  • whether any affected un-implanted devices remain
    available for return, constitutes
  • FSCA.

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1. Definitions and legal basis
  • 1.3.5. Field Safety Notice (FSN)
  • A communication to customers and/or USERs sent
    out by a MANUFACTURER or its representative in
    relation to a Field Safety Corrective Action.

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Medical Device Vigilance
  • 2. What shall be notify?

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2.What shall be notify?
  • - any dysfunction or any change of the
    characteristics and/or performance of a device,
    and any inadequacy in the labelling or
    instructions, which might lead to or have led to
    death or serious relapse in the state of health
    of a patient, a user or a third party.
  • - any technical or medical reason related to the
    characteristics or performance of a device for
    reasons shown in the previous paragraph and
    having led to the systematic withdrawal from the
    market by a manufacturer of devices of the same
    type.

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2.What shall be notify?
  • Not only must one notify serious incidents which
    have actually taken place but also the cases
    where there was a risk of a serious incident but
    that incident was avoided thanks to the attention
    and action of the relevant people.

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2.What shall be notify?
  • Definition of an serious incident
  • An incident is considered serious if it has one
    of the following consequences or could have had
    such a consequence
  • -         death, an illness or a handicap
    -         a permanent lesion of a function or
    structure -         the need for a medical or
    surgical operation -         for a prolongation
    of a surgical operation -         incorrect
    results of examinations leading to an
  • incorrect diagnostic or treatment

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2.What shall be notify?
  • Examples
  • 1. An infusion pump stops, due to a malfunction,
    but gives an appropriate alarm (e.g. in
    compliance with relevant standards) and there was
    no injury to the patient. ? do not need to be
    reported.
  • 2. An infusion pump stops, due to a malfunction
    of the pump, but fails to give an appropriate
    alarm there is no patient injury. This should be
    reported as in a different situation it could
    have caused a serious deterioration in state of
    health.

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2.What shall be notify?
  • 3. An aortic balloon catheter leaked because of
    inappropriate handling of the device in use,
    causing a situation which was potentially
    dangerous to the patient. It is believed that the
    inappropriate handling was due to inadequacies in
    the labelling. This incident should be reported.
  • 4. A defect is discovered in one (hitherto
    unopened) sample of a batch (lot) of a contact
    lens disinfecting agent that could lead to
    incidence of microbial keratitis in some
    patients. The MANUFACTURER institutes a FSCA of
    this batch. The FSCA should be reported.

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2.What shall be notify?
  • 5. Loss of sensing after a pacemaker has reached
    end of life. Elective replacement indicator did
    not show up in due time, although it should have
    according to device specification. This INCIDENT
    should be reported.
  • 6. The premature revision of an orthopedic
    implant is required due to loosening. Although no
    cause is yet determined, this INCIDENT should be
    reported.

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Medical Device Vigilance
  • 3. Who should be notify?

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3. Who should notify?
  • Not only the manufacturers or their
    representatives but also persons distributing
    devices, notified bodies, practitioners and
    people responsible for receiving and/or
    delivering devices should all signal incidents
    to  Federal Agency for Medicines and Health
    Products Vigilance Division.
  • Email address meddev_at_fagg-afmps.be

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Medical Device Vigilance
  • 4. When must incidents be notified?

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4. When must incidents be notified?
  • Incidents must be notified as quickly as possible
    using the quickest means possible. Incidents that
    have led to death or serious injury must be
    notified immediately.

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Medical Device Vigilance
  • 5. How should incidents be notified?

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5. How should incidents be notified?
  • 5.1 User (pharmacist, doctors)
  • www.fagg-afmps.be
  • Human use
  • Medical devices and their accessories
  • How should incidents be notified

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5. How should incidents be notified?
5.2. Manufacturers, distributors, authorised
representatives,
  • http//ec.europa.eu/enterprise/sectors/medical-dev
    ices/index_en.htm
  • Market surveillance and vigilance
  • Reference documents
  • Guidance
  • 2.12 Market surveillance (Manufacturer Incident
    Report and Field safety Corrective Action)

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5. How should incidents be notified?
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5. How should incidents be notified?
  • Documents to provide (FSCA)
  • - The traceability data for Belgium (list of
    Belgian Customers, with quantities provided per
    lot number).
  • - The model letter in our national languages
    (FSN)
  • - Once available evidence that the users have
    received the letter and reconciliation data.

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  • Links 
  • Federal Agency for Medecines and Health
    Products 
  • http//www.fagg-afmps.be/en/human_use/health_produ
    cts/medical_devices_accessories/materiovigilance/i
    ndex.jsp
  • Belgian legislation
  • http//www.fagg-afmps.be/fr/humain/produits_de_san
    te/dispositifs_medicaux/legislation/index.jsp
  • Market Surveillance and Vigilance on European
    Commission Web Site
  • http//ec.europa.eu/enterprise/sectors/medical-dev
    ices/market-surveillance-vigilance/index_en.htm
  • Forms
  • Distributor / Manufacturer /Authorized
    representative /
  • FSCA http//ec.europa.eu/enterprise/sectors/medic
    al-devices/files/meddev/report_form_field_safety_c
    orrective_action_en.doc
  • Incident http//ec.europa.eu/enterprise/sectors/m
    edical-devices/files/meddev/report_form_manufactur
    ers_incident_report_en.doc
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