| Literature DB >> 24223035 |
Daniel B Kramer1, Yongtian T Tan, Chiaki Sato, Aaron S Kesselheim.
Abstract
Entities:
Mesh:
Year: 2013 PMID: 24223035 PMCID: PMC3815401 DOI: 10.1371/journal.pmed.1001519
Source DB: PubMed Journal: PLoS Med ISSN: 1549-1277 Impact factor: 11.069
Key features of four device postmarket surveillance systems.
| System Feature | US | EU | Japan | China |
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| Premarket data and PS study status for high-risk devices publicly available. Public databases for reported adverse events and recalls. | Basis for device approval and any postmarketing commitments largely unknown. EU-wide adverse event data not accessible, though individual countries post PS events in non-systematic manner | Public posting of approvals, adverse event data, and notices | Public website listing all approved devices including labeling, but clinical data and collected adverse event data not public |
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| Product performance reports may be submitted from PS studies registries, but no formal process for renewing approval for specific indications | Clinical evaluation reports summarize PS data but are not consistently produced and are not used to evaluate renewal of CE marking | Statutorily-required formal re-examination period for selected devices | Statutorily-required formal re-examination period for selected devices |
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| Device regulation centralized at FDA; individual states may not impose stricter standards on manufacturers for marketing | EU provides guidance but directives are interpreted by national Competent Authorities and private Notified Bodies | Centralized process organized by Ministry of Health, Labor and Welfare and its Pharmaceutics and Medical Devices Agency | Central CFDA provides oversight for provincial authorities, however opportunities for local initiatives exist |