Regulatory Updates

First Revision of MDCG 2021-25 Released | QbD Group Regulatory Update


Application of MDR requirements to “legacy devices” and to devices placed on the market prior to 26 May 2021

This guidance outlines how MDR requirements relate to “legacy devices” and “old devices.” Legacy devices are defined as those that, in line with Article 120(3) of the MDR, are placed on the market or put into service after the MDR’s date of application (DoA) and until either 31 December 2027 or 31 December 2028 if the conditions set in Article 120(3c) of the MDR are fulfilled. In contrast, old devices refer to those placed on the market before 26 May 2021, in compliance with the AIMDD or the MDD, or under the relevant regulations before the Directives were enacted.

Through this guidance, the MDCG clarifies that the MDR’s requirements for post-market surveillance, market surveillance, and vigilance are applicable to legacy devices. The document also addresses Article 86 of the MDR concerning the periodic safety update report (PSUR), stating that manufacturers of legacy devices must prepare and maintain PSURs according to this specific MDR Article.

Other MDR requirements related to post-market surveillance, market surveillance, vigilance, and the registration of economic operators and devices should also apply to legacy devices. However, MDR provisions not related to these areas generally do not apply to economic operators concerning legacy devices. It is important to note that the requirements for market surveillance activities under the MDR do extend to old devices.

In this first revision, significant modifications are especially noted in sections 3.1, 3.2, and 4, which include:

 


What does it mean to you?

MDCG 2021-25 provides relevant insights into the applicability of the MDR to “legacy” devices and “old” devices.