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Director, Regulatory Affairs

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Presentation on theme: "Director, Regulatory Affairs"— Presentation transcript:

1 Director, Regulatory Affairs
Pan African Harmonization Working Party (PAHWP) – Technical Working group meeting and 3rd African Regulatory Forum on Medical Diagnostics – IVD Regulatory Framework Benny Ons Director, Regulatory Affairs BD Europe Capetown – November 2014

2 IVD Medical devices (IVDs) Are these all the same?
Medicines Medical diagnostics Pharmaceuticals Medical Devices (MDs) IVD Medical devices (IVDs) Are these all the same? Can they have one regulatory approach/framework? PAHWP – Capetown November 29-30, 2014

3 Companion Diagnostics
DRUG IVD Medical Devices In vivo use In vitro use Pharmaceutical products Active Implantable Medical Devices In vitro diagnostic Medical Devices Medical Devices Borderline Borderline Combination Products PAHWP – Capetown November 29-30, 2014

4 Considerations why IVDs are different from other medical devices
In vitro diagnostic medical devices (IVDs) are used to conduct tests outside of the human body, often in a laboratory, on a specimen derived from the body. IVDs are fundamentally different from other medical devices as they do not come into direct contact with the patient, making their performance and risk characteristics different. IVDs use human specimens, such as blood, tissue or urine, to carry out diagnosis, predictive testing, screening, and monitoring of conditions. These specimens are never reintroduced into the human body; however, they do provide valuable information regarding a patient’s health status. Whereas medical devices are typically only evaluated on or in humans as a last step in their development, IVDs stand apart in that they are evaluated on human specimens derived from the human body as they are intended to be used throughout their entire development (from concept to final device). This sets IVDs apart from traditional medical devices. PAHWP – Capetown November 29-30, 2014

5 Other considerations why IVDs are different from other medical devices
An IVD is rarely the sole determinant for diagnosis and treatment decisions. A combination of IVDs and/or an IVD in combination with other medical evidence is often used to come to a diagnosis or patient treatment decision. These combinations reduce the specific risk of the information provided by the IVD to the patient. Human specimens used throughout the development of the IVD are usually de-identified left over or archived specimens, for example those available in a biobank whereas R&D for medical devices is done with bench testing and animal models. PAHWP – Capetown November 29-30, 2014

6 Other considerations why IVDs are different from other medical devices
As human specimens are used throughout the whole development of the IVD, a considerable amount of information on the performance of an IVD is already gained from the manufacturer’s in-house performance studies which replicate to a large extent the conditions under which the IVD will be operating in the field (e.g interfering substances). This will provide data to support the claims and demonstration of safety and performance of the IVD and this reduces the risk. Therefore clinical evidence for medical devices and IVDs are fundamentally different. The information that the test collects from the specimen during a study is typically not provided to patients or used in patient management decisions, removing direct consequences of the performance study. In rare cases where the information would be the sole basis for patient management decisions, additional measures are taken to mitigate any residual risk. PAHWP – Capetown November 29-30, 2014

7 GHTF regulatory model SG 5 SG 3 SG 2 SG 4 What is a medical device
Definition of medical device and IVD medical device What is needed to ensure Safety and performance Essential Principles of Safety & Performance How to meet the Essential Principles Use of Standards (or other means) What is needed to ensure The safety of the product Guidance on Clinical Evidence SG 5 Labeling (including Instructions for use) What level of Conformity Assessment is appropriate Risk based classification Rules – Class A, B, C or D Quality System Design Control Process Full Technical Evidence SG 3 Supporting Documentation Submission file Summary Technical File (STED) Safe medical device is placed on the market Post Market Vigilance and Reporting Procedures SG 2 Audit procedures and protocols SG 4 PAHWP – Capetown November 29-30, 2014

8 GHTF and IMDRF All guidance documents developed by GHTF can now be found at – GHTF archive. PAHWP – Capetown November 29-30, 2014

9 Regulatory Framework for IVDs and Access to affordable devices
The AHWP and the PAHWP agreed that There is no need to develop a separate regulatory framework for affordable access to IVD medical devices or for IVD medial devices used in resource limited settings but Where appropriate additional guidance could be developed to clarify certain aspects of the regulatory framework guidance documents with respect to access to affordable devices as well as the use in resource limited settings PAHWP – Capetown November 29-30, 2014

10 Regulatory Framework for IVDs and Access to affordable devices
Aspects to be considered in such additional guidance for access to affordable IVD medical devices are : Specific design requirements (clarify some of the Essential Principles with regards to affordable devices – eg. POC tests, stability, handling, storage and protection of reagents) Faster access pathways (clarify some of the conformity assessment elements as well as agree on a common submission dossier (STED). PAHWP – Capetown November 29-30, 2014

11 Regulatory Framework for IVDs and Access to affordable devices
Aspects to be considered in such additional guidance for access to affordable IVD medical devices are : Different approach to clinical performance studies. Labelling (clarify the link of some design elements important for affordable devices in the EP with the labeling of the product) PAHWP – Capetown November 29-30, 2014

12 AHWP TC Playbook Scope & Content
PAHWP – Capetown November 29-30, 2014

13 Phased implementation Basic regulatory controls
Playbook Scope Intended to guide AHWP member economies (and others) in the implementation of a model regulatory system Applicable to countries with no framework or existing framework International regulatory convergence Highlights considerations e.g. phased implementation (basic controls to more advanced controls), national legal frameworks, resource needs, recognition of standards Playbook Chapters Recognition of Standards Chapter 7 Registry / Database Chapter 6 Manpower Chapter 5 Phased implementation Chapter 4 Legislation & policy framework Chapter 3 Basic regulatory controls Chapter 2 Introduction & Rationale for Harmonization Chapter 1 PAHWP – Capetown November 29-30, 2014

14 Framework of Medical Device Controls
Regulatory model outlined in the Playbook is built on the foundation of the Global Harmonization Task Force (GHTF) guidance documents. Quality management systems (QMS) Post-market surveillance and vigilance Definitions & qualification of ‘medical device’ (MD) Registration / licensing of MDs & dealers Classification & conformity assessment of MDs Oversight of QMS audits of dealers Clinical investigation & clinical performance study controls Basic Regulatory Controls Advanced Regulatory Controls Implementing a Regulatory Framework PAHWP – Capetown November 29-30, 2014

15 Playbook Content: Considerations addressed
Implementation: where to start? Is there a gauge of the market profile? Effort to identify & engage stakeholders Other parties (e.g. Maintenance, Refurbishment) End-users Distributors Manufacturers Importers PAHWP – Capetown November 29-30, 2014

16 Playbook Content: Considerations
Market Profile What is the distribution of device types in the country? This is necessary to determine regulatory controls. Are controls relevant across device types? E.g.: Implants, surgical instruments, etc IVDs Medical software Titrate controls – what depth of pre-market controls a device would need? Higher Risk Level of controls Low Risk Device Risk PAHWP – Capetown November 29-30, 2014

17 Playbook Content: Considerations
Legislation & Policy Robust Legislation & Transparent Policy Framework Considerations when putting legislation and policies in place Capacity Building in Regulations & Policy Development Establish Transitional steps Gap analyses of weakness in existing controls, e.g. devices on the market, pre-market controls, post market controls, Identification & Engagement of stakeholders Continuous refinement PAHWP – Capetown November 29-30, 2014

18 Phased Implementation
Playbook Content: Considerations Phased Implementation Transition periods coherent in timing & sequence Clear communication with stakeholders Example of phased implementation steps: 7 6 5 4 3 2 1 PAHWP – Capetown November 29-30, 2014

19 Playbook Content: Considerations Manpower / Resource
To what extent are human resources sufficient to enable the Regulatory Authority to do its job? Considerations to be made in planning resources / capacity building Types of Regulatory Activities Phase of Implementation Capacity Building Providing the tools to optimally fulfill responsibilities Volume / Distribution of regulatory activities Expertise PAHWP – Capetown November 29-30, 2014

20 Registration Databases
Playbook Content: Considerations Registration Databases Knowing the purpose of databases is knowing what information to have in a database. Gauge local profile of medical device activities & products Identification of stakeholders Using information to identify trends PAHWP – Capetown November 29-30, 2014

21 Playbook Content: Considerations
Essential Principles of Safety & Performance and Recognition of Standards Essential Principles of Safety &Performance GHTF: 6 general safety & performance principles 14 principles for non-IVD medical devices 12 principles for IVD medical devices Purpose & benefits of standards Mechanism for medical device standards recognition PAHWP – Capetown November 29-30, 2014

22 Playbook Elements Providing the Tools for Planning a Framework
Chapters 3 & 6 Chapter 3 & 6 Phased Implementation of Mandatory Controls Manpower & Resource Determination Development of Legislation & Policy Training of Stakeholders & Staff Full Implemen- tation of a regulatory framework Phased Implementation –Voluntary Phase Continued enhancement Phased Implementation Planning Chapters 2 & 4 Chapter 5 Chapters 3 & 5 Chapters 3, 6 &7 Chapter 4 PAHWP – Capetown November 29-30, 2014

23 “Mindset” This Playbook has not set out not a prescription of regulatory controls or pathway to implementation to countries. It intends to provide considerations for a regulatory framework & build on foundation of existing resources A house needs to.. Provide shelter Protection from the elements Security & comfort Serve the needs of its inhabitants PAHWP – Capetown November 29-30, 2014

24 Houses around the World
Adapted to the needs of the environment and landscape What is the spirit behind implementing (this) regulatory control? PAHWP – Capetown November 29-30, 2014

25 Final considerations for implementing regulatory controls for IVDs
Consider the differences between MDs and IVDs Consider the implementation of more advanced pre-market controls only when you have a base of registration of your IVD medical device dealers and listing of the devices and you have or will have sufficient resources to implement the next level of controls PAHWP – Capetown November 29-30, 2014

26 Final considerations for implementing regulatory controls for IVDs
If you move to more enhanced pre-market controls that include submissions consider the implementation of a regulatory submission file based on the GHTF STED document (also the WHO prequalification dossier is based on the STED document content). Keep in mind that clinical evidence for IVDs is totally different than for MDs PAHWP – Capetown November 29-30, 2014

27 Final considerations for implementing regulatory controls for IVDs
With regards to clinical evidence consider carefully the need for in country testing when the product is registered in the US or the EU, Australia, Canada and Japan as well as when there is a WHO prequalification What will the additional in country testing add that this not available from the manufacturer’s testing or from the independent testing under the WHO prequalification? PAHWP – Capetown November 29-30, 2014

28 Final considerations for implementing regulatory controls for IVDs
If you intend to create IVD regulations you might want to join the AHWP WG2 (pre-market for IVDs) – during 2015 and 2016 this WG will discuss all the GHTF documents related to IVDs and will publish them as AHWP documents Meetings will provide in depth insides into the documents Clarify what works and what does not Help you in capacity building PAHWP – Capetown November 29-30, 2014

29 Thank you! Benny Ons Director, Regulatory Affairs BD Europe
Tel: November 29-30, 2014 PAHWP – Capetown November 29-30, 2014


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