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MEDICAL DEVICE Technical file www.icaro-research.eu ICARO MDTF v1.0 1 Mar 2016

1. Do you plan to launch your medical device in Europe? If you re reading this, chances are good that you re considering introducing a medical device in Europe. Maybe you have been tasked with preparing a technical file. Whatever the case, in this brochure we will discuss the purpose of a technical file, the data and documentation included, and formatting, among other topics. 2. What is the Medical Device Technical File? A CE Technical File is a comprehensive description of your device and demonstrates compliance with the requirements of the applicable European Union Directive, such as the Medical Devices Directive 93/42/EEC (MDD), In Vitro Diagnostic Medical Devices Directive 98/79/EC (IVDD) or Active Implantable Medical Devices Directive 90/385/EEC (AIMDD). Compiling your technical file (or Design Dossier for Class III devices) is a critical step in the CE Marking process and includes detailed information about the design, function, composition, use, claims, and clinical evaluation of your medical device. 3. At a glance: CE Marking Process for Medical Devices Preparing and submitting the technical file is just one step in the CE Marking process. Early steps in the regulatory procedure determine if a Notified Body (NB) is required to review your technical file or design dossier and what information to include in your submission. Basic steps in the CE Marking process are listed here: Determine if your product is a medical device and which EU Directive applies to your device: Medical Devices Directive (MDD), In Vitro Diagnostic Device Directive (IVDD) or Active Implantable Medical Device Directive (AIMDD)? Determine the classification of your device: Class I (non-sterile, non-measuring), Class I (sterile, measuring), Class IIa, Class IIb or Class III. Implement a Quality Management System (QMS). Exception: Class I (non-sterile, nonmeasuring) devices. Prepare a Technical File for your device (Class I, IIa, IIb) or Design Dossier (Class III). Have your QMS and Technical File/Design Dossier audited by a Notified Body, unless your device is Class I non-sterile, non-measuring. Upon successful completion of your Notified Body audit, you will receive a European CE marking certificate (and an ISO 13485 certificate depending on the route to conformity assessment selected). There may be some registration requirements, though this is contingent upon the Competent Authority where you are based, as well as the classification of your devices. Prepare the Declaration of Conformity (DoC), which states that your device complies with the appropriate Directive. Identifying the appropriate device classification before you begin work on your technical file is important. For example, you may need to include detailed clinical data and test reports, depending on your device s risk level. If you have a low-risk device, your technical file will have fewer requirements. 2

4. Essential Requirements, Classification, and Conformity Assessment No two technical files will look exactly the same because the type of device dictates the information included in the document. Three primary factors determine what is required for your technical file: Essential Requirements. The Essential Requirements establish basic characteristics that you must comply with to mitigate risk to the user /patient, supplying information and documentation with your device, and labeling your device. These can be found in Annex I of the MDD. Overall, the Essential Requirements apply to all medical devices. However, some specific requirements apply only to certain device types, such as measuring devices or those using radiation or electricity. Manufacturers generally use The ER checklist should guide design and development of the medical device, as failure to align with the Essential Requirements will inhibit the marketability of your device in Europe until conformity is achieved. standards to address compliance, and particularly European Norm harmonized standards published in the Official Journal of the European Union (OJ). Device classification. Device classification further dictates the contents of a technical file or design dossier. The European device classification scheme follows a risk continuum: lowest risk devices are Class I (non-sterile, non-measuring) and the highest risk devices are Class III. However, the factors that determine risk level are complex. The classification of your device defines, in part, your device s route to conformity assessment, as the MDD indicates additional conformity requirements based on your classification. Once your device is properly classified, you can accurately identify the rules that apply to your device. Classification criteria can be found in Annex IX of the MDD. Conformity assessment. Conformity assessment is the purpose of the technical file: the information in the file should demonstrate that your device conforms to the rules laid out for your device type and class in the MDD. These rules relate to every aspect of your device s lifecycle: from design and function to quality systems and manufacturing. In formal terms, conformity assessment refers to the Notified Body audit referred to in Step 5 of the registration process. However, some low-risk devices are not required to complete the audit. In this case, a thorough technical file should prove your compliance and you should feel confident signing a DoC. Conformity assessment procedures are discussed in Article 11 of the MDD. According to paragraph 10, Article 11 of the MDD, the notified body may require, where duly justified, any information or data, which is necessary for establishing and maintaining the attestation of conformity in view of the chosen procedure. In other words, you should provide any information requested by the NB to demonstrate that your device conforms to the Essential Requirements. If you believe specific requirements do not apply to your device, you must justify your position with sufficient data to assure the device complies with the Directive. 3

5. Standard Elements of a Technical File Consider a technical file as a document divided into sections. The reports or documents supporting the contents of the sections and the essential requirements (ER) should be appended to the technical file as attachments. In certain circumstances, these supporting files may be referenced. The following elements are recommended, though this list is not exhaustive nor prescriptive: Description of the device. This section might include the following information: design, characteristics, performances, representative images, intended purpose, patient population, medical condition, accessories, brief market history, classification (see MDD Annex IX, Classification Criteria) and rationale, as well as the selected conformity assessment route. You may also add data about the device s materials. The Essential Requirements (ER) checklist. The ER checklist should be reproduced verbatim from the directive and presented as a table with labeled columns such as ER, applicable applied standard, demonstration of compliance, and location of documentation. Address each ER and indicate whether it is applicable. If the ER is applicable, reference the standard or procedure used. Name the explicit document meeting the requirement and its location - the reviewer should be able to identify the specific document. If the ER is not applicable, provide an explanation supporting your position. The ER checklist functions as a signpost that provides identification and location of the supporting documentation. Risk assessment. In this section, discuss conclusions and outcomes from risk assessment activities. The risk assessment document should be included as an attachment. (Use of EN ISO 14971:2012 is strongly encouraged, as NBs will expect a manufacturer to comply with that standard.) Bench testing. Include a synopsis from test reports (if applicable) that substantiate the device s performance and safety: in-vitro performance or safety; mechanical, physical, chemical and/or animal studies; biocompatibility; packaging; shelf life; stability; and sterilization. (Note: You may address packaging, shelf life, and sterilization in separate sections.) Manufacturing. Provide a manufacturing flow chart and rudimentary description of the method of manufacturing to demonstrate inspection and preventive monitoring steps, conditions of manufacture, quality system certifications held by the manufacturer or critical subcontractors, labeling control, and traceability. A flow chart is useful when contractors perform multiple functions or when the manufacturer relies heavily on outsourcing. 4

Clinical evaluation. This section is a summary of the Clinical Evaluation Report (CER), with the full CER attached to the summary. When Directive 2007/47/EC was transposed into national law in December 2008 and applied in March 2010, all medical devices seeking CE Marking were required to produce a CER, regardless of their classification. With the new regulation to be implemented, Clinical Evaluation will be required for ALL medical devices on the market. Labeling. Include a draft of your device s labeling. You may also include the CE marking with the four-digit NB identification number, if relevant. Use of symbols, particularly those described within EN 980, are encouraged. Declaration of Conformity. Issue this document as a draft; however, each NB and reviewer may have its own expectations as to what the document should contain. The DoC draft, which could reference the NB-issued CE marking certificate number, is signed and issued after the manufacturer has met all the requirements of the directive. 6. Clinical Evaluation Report As previously discussed, all medical device manufacturers are required to produce a compliant Clinical Evaluation Report (CER). The CER documents results of the clinical evaluation of your device. A compliant CER demonstrates that the clinical evaluation process conforms with the one outlined by the MDD. The evaluation process should support strong clinical evidence that your device achieves its intended purpose without exposing users and patients to further risk. This is just the beginning of your CER s lifecycle. Consistent updates to the CER should occur from ongoing clinical evaluations, if needed, or as part of your post-market surveillance and vigilance operations. Approach the CER as a standalone document even though you will include it as an attachment to your technical file or design dossier. A list of possible elements to include in your report, as recommended in the Guidelines on Medical Device 2.7.1 rev. 3, Appendix E. is as follows: General information: device and manufacturer name. Concise physical and technical device description and intended application. Outline of intended therapeutic or diagnostic claims. Clinical evaluation and data types. Summary of clinical data and review. Describe analyses used to assess performance, safety, and relevance/accuracy of product literature. Conclusions about safety, performance, and conformity. 5

7. Declaration of Conformity The Declaration of Conformity (DoC) is a legally binding document that declares you are in compliance with all the applicable legislation necessary to sell your product in the European Union. Specifically, it states that your device conforms with the Essential Requirements and the MDD. All medical device manufacturers must complete a DoC, regardless of their device s classification. Elements of a DoC vary depending on the guidance of your Notified Body. And, there is no mandatory format. Nonetheless, it should be printed on company letterhead and written in one of the European Union s official languages, which includes English. Although the DoC is a short document, it should clearly convey that your company and device conform to the necessary requirements. Most DoCs include the following elements: Device trade name and model number Device classification (Class and Rule) Your company name and address Name of quality management representative Notified Body name and ID number (if applicable) CE certificate number (if applicable) Date CE Marking was first applied Authorized Representative contact information A statement that the device that is covered by the present declaration is in conformity with MDD Regulation and, if applicable, with other relevant Union legislation that make provision for the issuing of a declaration of conformity Route to compliance (example: MDD Annex II, V, VII) Standards applied (optional) Place, date, name and signature of company officer The DoC is prepared and signed as the last step in the regulatory process. However, some NBs require a sample DoC with your Technical File. The sample DoC should not be signed by your company s senior executive until you have passed the conformity assessment, where applicable. 8. Technical File Guidance A guidance document is an official recommendation from a regulatory entity for how to approach device submissions. Many entities publish guidance documents on the topic of technical file content and formatting. While you are not required to follow guidance documents, it is highly recommended, as they may reduce the need to make changes and corrections to your technical file during the conformity assessment. Guidance from Notified Bodies. Some NBs publish extensive documents describing their position on content and formatting. And, you can assume the NB reviewer assesses your documentation based on a checklist established from its guidance documents. If you have already identified a NB, you may want to request guidance from the NB as well. NBs have unique expectations about the appearance of technical files, so keep this in mind should you change NBs during the conformity assessment process. For this reason, changing NBs should be avoided. Technical files and design dossiers are viewed, for the most part, as controlled documents. NBs expect clearly numbered pages for easy identification and review. Present your information in an organized, concise, and coherent manner to facilitate evaluation by the NB, using synopses and conclusions, if applicable. Tables and flow charts are effective tools to provide summary results. Generally, documents that demonstrate compliance with the ER are summarized in the text of the technical file or design dossier and included as an attachment or appendix. 6

9. Conclusion: Use a specialized CRO (Clinical Research Organisation)! Quality preparation is essential to the success of your technical file. Lay a firm foundation for the project by identifying the applicable directive, accurately classifying your device, and identifying the appropriate route to conformity. Carefully choose your Notified Body and follow the directions provided in guidance documents. Most of all, reference conformity and regulatory requirements early in your process to avoid any surprises or expensive corrections later in the future. 10. ICARO can help you! Unless you manufacture a Class I device that is not provided sterile and does not have a measuring function, your Technical File must be reviewed by a Notified Body. In the case of Class IIa, IIb and Class III devices (and MDD Annex II, List A; Annex II, List B; or self-testing IVD), a more complex CE Technical File or Design Dossier must be prepared. National Competent Authorities (Ministries of Health) have the right to review Technical Files at any time, regardless of classification. ICARO can support you to compile a regulatory compliant Medical Device Technical File and ensure your company achieves CE Marking certification. We can: Compile your EU Technical File or Design Dossier. Help you determine exactly which materials need to be assembled. Completely review all existing documentation in support of meeting the applicable Essential Requirements of the Directive(s). Determine applicable standards for your device. Review your clinical data, compile a Clinical Evaluation Report (CER) and facilitate a Risk Assessment as necessary. Review your proposed labeling and Instructions for Use. 7

Add EXCELLENCE to your Medical Device with our KNOW-HOW! Medical Device Technical File Clinical Investigation Clinical Evaluation Post-Market Surveillance and Vigilance Medical Device CE Marking We tailor our services to your specific need! ICARO, raziskave v medicini d.o.o. Telefon: +386 (0) 597 10 255, E-mail: info@icaro-research.eu www.icaro-research.eu Member of: