Psur Apr 2021
Psur Apr 2021
a) Executive summary
• Describe the main results of the current PSUR and provide background information so that the
PSUR “stands alone”.
• Executive summary should provide a clear and bold statement declaring whether the benefit risk
ratio has been negatively impacted based on the information reported within the current PSUR.
This statement should be added after the conclusions of the PSUR have been completed.
b) Description of the devices covered by the PSUR and their intended uses
• Provide a tradename or tradenames and nomenclature terms of the devices covered by the PSUR.
• In cases where the PSUR covers multiple devices provide the number of devices included in the
current PSUR and explain whether all grouped devices are master devices or master device and
its assessor(s).
• Provide a brief description of the device(s) intended use and the patient groups the device is
intended. Describe the expected use of the device in different patient groups, in different sizes
and variants when applicable.
• Provide information related to the contraindications and warnings.
c) Justification of the grouping of devices if applicable
• In cases where the PSUR includes more than one Basic UDI-DI or model of the MDD, AIMDD
devices or custom-made devices describe the justification to group the devices in one PSUR.
• The justification could be based on the benefits to report multiple devices in one PSUR or
alternatively weaknesses to report each device in separate PSURs.
• In any case, take into account that the PSUR must remain comprehensible.
d) Post Market data and their evaluation
General information related to the data presentation and evaluation is describe in Annex
II and examples of used tables in Annex III.
e) Estimated population and usage frequency of devices and volume of sales
• Preventive and corrective actions for safety reasons and evaluation (Article 87)
o FSCAs will be reported according to the current FSCA forms until Eudamed is functional.
When Eudamed is functional and the data collection related to the FSCA reports is updated
this part of PSUR will be also updated.
o Provide a list of FSCAs performed including following information: manufacturer’s
reference number, the date of initiation, a brief description of the reason for action, status
at the time of the PSUR (i.e. initial, follow-up, final) and information whether a Field
Safety Notice has been issued.
o The analysis should identify whether there are deviations from the defined actions, when
identified those actions should be listed and justify the deviation.
o When identical FSCAs are performed repeatedly they should be justified.
o Clarification for the prolonged duration of the corrective actions shall be provided.
• Provide an overview of the data; its coverage, quality, possible deficiencies and bias.
• Give a resolution that is based on all used datasets and evaluate whether the findings obtained
are consistent with the finding reported in the previous PSURs.
• Provide a list of the possibly detected deviations, positive or negative and duly justify each.
• Highlight the strengths and limitations of the data and analysis used.
• Compare the findings to the other devices with same intended use and state of art and justify
the possible differences in safety and performance of the device.
h) Assessment of the benefit/risk profile by manufacturer
• Provide a statement declaring whether the benefit risk ratio has been negatively impacted based
on the information reported within the current PSUR and add the resolution in section
Executive Summary
• Identify specific points that should be considered in the next PSUR.
j) The effects of the results on the PMS plan
• Describe how the current PSUR will affect to the further PMS
• Provide a list of the updated documents and describe the updated content.
• Describe the essential changes on the PMS plan.
ANNEX II: General information related to the data reporting and their evaluation
•
Each dataset collected within PMS Plan should be presented and analysed individually and
finally provide a summary of the all used datasets highlighting the strengths and weaknesses
of the used data.
• Each individual data should be split by Basic UDI-DI or model of the device if the Basic UDI-
DI does not exist.
• The data should be split also by region when applicable. The used region is EU, CH, TR and
worldwide. Worldwide data should not include data from EU, CH and TR.
• Each PSUR contains data gathered over the last four years.
• Depending on the detail, the data is used as a 4-year summary data or a yearly data.
• Data reported by year to year:
o Class III and Class IIb: Reporting Day+ preceding 12 months (N); N – 12 months (N2);
N2-12 months (N3); N3-12 months (N4)
o Class IIa: Reporting Day+ preceding 24 months (N); N – 24 months (N2)
• Report the data by the International Medical Device Regulators Forum (IMDRF) codes when
the content of the data facilitates it.
o Level 2 terms are satisfactory to enable the grouping of cases.
o When the level 2 terms are not available use the level 1 terms.
▪ The used codes are device problem code (Annex A)
▪ Health impact code (Annex F)
▪ Investigation finding code (Annex C)
• Findings from all used datasets should be evaluated against each other with consideration and
reflect the possible conflicting results.
• Evaluate the generalizability of the results in viewpoint of the different patient populations, size
and model of the device or device combination.
• When applicable evaluate the findings in relation to the state of the art.
• Evaluate the data in relation to the predefined thresholds concerning known side effects and
benefits intended to gain.
• Identify the possible unknown signals, positive or negative.
• The short-term findings should be evaluated against the long-term findings.
• Where applicable use the IMDRF adverse event codes in the analysis.
• Identify factors that supports or refutes previously identified safety and performance concerns
as well as evidence relating to new safety signals and previously unknown benefits.
• Whether the device is used as a combination of devices the analysis should identify the role of
the target device in comparison to other devices or accessories. Compare the performance and
safety of the device to other devices with the same intended use.
• For detecting signals describe overall principles and methodology including trigger levels and
their justifications and the method used to detect signals.
ANNEX III: TEMPLATES FOR REPORTING OF DATA
Device name
EU+CH+TR
World
Device name
Table 5. Serious incidents over preceding XX years for lower volume devices
Device name
Table 6. Incidents during PSUR reporting period by device problem code and region
WW WW WW WW WW
WW WW WW WW WW
Table 8. FSCA during the PSUR reporting period and the status of the FSCA
Device name
Type of action Starting Staus of Mnfr. Rationale and description Impacted regions
Date the FSCA Reference of action taken
number
Benefits
Table 12. The method to verify the gained benefits and the gained benefits
Name of the reported Reporting Day+ N – 12 months N2-12 months (N3) N3-12 months (N4)
item preceding 12 months (N2)
(N)
EU+CH+TR
WW
EU+CH+TR
WW
*The name of the column could vary (number of device sold; total number of implanted; prevalence of
serious incidents/non-serious incidents/adverse events by IMDRF device problem code; prevalence of
investigation findings by IMDRF investigation findings code.
Table 142. Reporting 4-year summary data
Benefit-risk determination: the analysis of all assessments of benefit and risk of possible
relevance for the use of the device for the intended purpose, when used in accordance with the
intended purpose given by the manufacturer. MDR Article 2(24).
Equivalent medical devices: Devices in which clinical, technical and biological characteristics
defined in Annex XIV part A shall be similar to the extent that there would be no clinically
significant difference in the safety and clinical performance of the device. MDR Annex XIV part
A, section 3.
Making available in the market: means any supply of a device, other than an investigational
device, for distribution, consumption or use on the Union market in the course of a commercial
activity, whether in return for payment or free of charge. MDR Article 2(27)
OLD DEVICES; MDD devices, not placed on the market after 26 May 2021)
PERIODIC SAFETY UPDATE REPORT (PSUR): Manufacturers of class IIa, class IIb and
class III devices shall prepare a periodic safety update report (‘PSUR’) for each device and where
relevant for each category or group of devices summarising the results and conclusions of the
analyses of the post-market surveillance data gathered as a result of the post-market surveillance
plan referred to in Article 84 together with a rationale and description of any preventive and
corrective actions taken. MDR Article 86. The PSUR (REPORT) is composed of two elements:
the PSUR FORM and the PSUR DOCUMENT.
PSUR FORM: Template that contains all the relevant administrative data requested in the PSUR.
This FORM details information regarding the medical device, manufacturer, NB and the
management of the PSUR process.
PSUR DOCUMENT: Single stand-alone document for the reporting PSUR interval that will be
always attached as a PDF to the PSUR FORM and contains the data, tables and summarises the
results and conclusions for the analyses of the post-market surveillance data.
Placing on the market: means the first making available of a device, other than an investigational
device, on the Union market. MDR Article 2(28)
Post-market surveillance (PMS) means all activities carried out by manufacturers in cooperation
with other economic operators to institute and keep up to date a systematic procedure to proactively
collect and review experience gained from devices they place on the market, make available on
the market or put into service for the purpose of identifying any need to immediately apply any
necessary corrective or preventive actions. MDR Article 2(60).
Putting into service: means the stage at which a device, other than an investigational device, has
been made available to the final user as being ready for use on the Union market for the first time
for its intended purpose. MDR Article 2(29).
Serious public health threat: means an event which could result in imminent risk of death, serious
deterioration in a person´s state of health, or serious illness, that may require prompt remedial
action, and that may cause significant morbidity or mortality in humans, or that is unusual or
unexpected for the given place and time. MDR Article 2(66).
Similar medical devices: devices belonging to the same generic device group. The MDR defines
this as a set of devices having the same or similar intended purposes or a commonality of
technology allowing them to be classified in a generic manner not reflecting specific
characteristics. MDCG 2020-6.
Legacy devices: Devices with a valid certificate issued in accordance with Directive 90/385/EEC
or Directive 93/42/EEC which are continued being placed on the market or put into service after
the MDR Date of Application (DoA), 26 May 2021.