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Europe's work in progress: quality of mHealth Pēteris Zilgalvis, J.D., Head of Unit, Health and Well-Being, DG CONNECT Voka Health Community 29 September.

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Presentation on theme: "Europe's work in progress: quality of mHealth Pēteris Zilgalvis, J.D., Head of Unit, Health and Well-Being, DG CONNECT Voka Health Community 29 September."— Presentation transcript:

1 Europe's work in progress: quality of mHealth Pēteris Zilgalvis, J.D., Head of Unit, Health and Well-Being, DG CONNECT Voka Health Community 29 September 2015

2 Table of Contents 1.Context: Green Paper on mHealth 2.Outcome of the consultation: privacy and security 3.mHealth main concerns, obstacles and challenges 4.Health and Medical devices reform 5.Health and the Reform of Data Protection 6.Code of conduct on mobile health apps 7.Future European standard on quality criteria 8.Guidelines for validity and reliability of data 9.EU-US Memorandum of understanding

3 Context: Green Paper on mHealth The Green Paper asked stakeholders for their inputs on how to overcome the main challenges to mHealth deployment, e.g.: data protection and security big data the legal framework patient safety mHealth’s role in healthcare systems

4  Transparency is necessary to increase trust (which data, who will use the data and the purpose of use)  Reliable and safe techniques for anonymisation and pseudonymisation  Important to give citizens control over their data  Data minimisation, data protection by design and default  Users' consent and access controls are crucial Results – data protection and big data

5 Results of the consultation - Privacy and security  Strong privacy and security tools are needed to build users' trust  Data encryption both "in transit" and "at rest"  Authentication mechanisms, e.g. digital certificates, biometric parameters, tokens etc.  Importance of secured network settings to prevent data interception

6 mHealth main concerns

7 One of the main obstacles: Current lack of trust Source: Mobiquity, The Appification of Health and Fitness, April 2014

8 mHealth key challenges

9 Health and Medical devices reform  Current legislation:  Council Directive 90/385/EEC on Active Implantable Medical Devices (AIMDD)  Council Directive 93/42/EEC on Medical Devices (MDD)  Council Directive 98/79/EC on In Vitro Diagnostic Medical Devices (IVDMD)  Medical devices reform:  Proposal for a Regulation of the European Parliament and of the Council on i) medical devices and ii) in vitro diagnostic (IVD) medical devices  The aim of the revisions is to ensure:  a consistently high level of health and safety protection for EU citizens using these products;  free and fair trade of the products throughout the EU;  EU legislation is adapted to the significant technological and scientific progress in this sector over the last 20 years.

10 Health and the Reform of Data Protection  Data protection is a fundamental right in the EU  Personal data relating to health are sensitive data: General principle  no processing unless necessary e.g. for reasons of public interest or where the data subject has given explicit consent  General Data Protection Regulation (GDPR)  specific provisions on processing for health purposes and on historical, statistical and scientific research purposes.

11 Health and the Reform of Data Protection  Processing is legitimate if necessary for public health purposes, provided that Member States adopt sufficient safeguards. Contrary to the current Directive, the GDPR requires Member States to provide such rules, e.g. for cancer registers.  Consent of the individual is not always required.  Where important scientific research purposes cannot be achieved by processing anonymous data, processing of personal data should be authorized.  However, anonymisation (or at least pseudonymisation) should be utilised whenever feasible.

12 Code of conduct on mobile health apps  covering privacy/ data protection and security principles.  Legal basis: Article 27 of the data protection directive 95/46/EC.  Process: industry code of conduct working group set up in March 2015 with the EC as facilitator  to be signed by main parties involved in the processing of data in the apps environment and possibly to be approved by the Article 29 Working Party.

13 Code of conduct on mobile health apps Objectives:  Enabling informed choices.  Increased trust by individuals.  Competitive advantage for the signatories to the code.  Raising awareness of EU data protection rules.  Facilitate compliance with data protection rules at EU level.

14 Future European standard on quality criteria  European standard on quality criteria for the development of health and wellness apps, taking as a basis the publicly available specification PAS:277 recently published by the British Standards Institution (BSI).

15 Guidelines for validity and reliability of data  Idea presented during open stakeholder meeting on 6 July  Assess the validity of data for the purposes of linking apps to electronic health records (EHR).  Facilitated by the Commission or interested Member States.  Stakeholders were asked to express their interest to participate in working group: drafting team.

16 EU-US Memorandum of understanding  Roadmap to strengthen transatlantic cooperation in eHealth and Health information technologies (IT).  Cooperation Roadmap: Advancing eHealth Interoperability eHealth Workforce Development

17 Thank you for your attention peteris.zilgalvis@ec.europa.eu @PZilgalvis


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