Advisory opinion of the AWMF Ad hoc Commission In-vitro Diagnostic Medical Devices regarding in-vitro diagnostic medical devices manufactured and used only within health institutions established in the Union according to Regulation (EU) 2017/746 (IVDR)

  • Petra Hoffmüller
  • Monika Brüggemann
  • Thomas Eggermann
  • Kamran Ghoreschi
  • Detlef Haase
  • Jörg Hofmann
  • Klaus-Peter Hunfeld
  • Katharina Koch
  • Christian Meisel
  • Patrick Michl
  • Jens Müller
  • Carsten Müller
  • Holger F Rabenau
  • Dirk Reinhardt
  • Markus J Riemenschneider
  • Ulrich J Sachs
  • Ulrich Sack
  • Albrecht Stenzinger
  • Thomas Streichert
  • Nils von Neuhoff
  • Wilko Weichert
  • Christof Weinstock
  • Stefan Zimmermann
  • Folker Spitzenberger
  • AWMF Ad hoc Commision In-vitro Diagnostic Medical Devices

Abstract

In view of the approaching application date of Regulation (EU) 2017/746 ("IVDR") and the resulting EU-wide, harmonized requirements for in-vitro diagnostic medical devices (IVD) manufactured and used within European health institutions, the Ad hoc Commission IVD of the German Association of the Scientific Medical Societies (AWMF) takes a national position on the details of the requirements and conditions related to the use of these IVD products. The Ad hoc Commission IVD emphasizes the relevance of examination procedures developed in medical laboratories, especially in the field of orphan diseases and new diagnostic markers. The IVDR sets an adequate regulatory framework for IVD manufactured and used within health institutions as long as these requirements are fulfilled with reliability and in accordance with the current state of the art in medical laboratory sciences. At the same time, the IVDR requirements have to be regarded under a pragmatic view and in accordance with the quality management systems approved within the different EU Member States. On the one hand, the mandatory requirements of the RiLiBÄK play an essential role in Germany. On the other hand, elements of voluntarily applicable international standards may support the fulfilment of product requirements for safety and performance according to Annex I of the IVDR. Both the complexity and possible solutions for the implementation of the IVDR requirements are discussed on the basis of examples such as the required documentation, performance evaluation and software validation. The Ad hoc Commission IVD recommends that, while aiming at a preferably EU-wide harmonized interpretation of the IVDR requirements, the flexibility in medical laboratory diagnostics necessary for patient care, including the use of IVD from in-house production, should be emphasized.

Bibliographical data

Original languageEnglish
ISSN1612-3174
DOIs
Publication statusPublished - 2021
Externally publishedYes
PubMed 34194291