Periodic Safety Update Report

Periodic Safety Update Report (PSUR)
Creating a Compliant PSUR

Under EU MDR and EU IVDR, there is now a requirement for a Periodic Safety Update Report (PSUR) or Post-Market Surveillance Report (PMSR).

Previously, the MDD and IVDD had post-market requirements. The MDR and IVDR requirements are now regulated. For most classes, manufacturers must update and submit these reports notified bodies (NBs) every 1 or 2 years. 

 

What is a PSUR?

Periodic Safety Update Reports (PSURs) have been required for pharmaceutical products for some time, but they are now also a requirement for medical devices. Periodic safety reporting improves medical devices and the advantages they provide to patients. All devices require either a PMSR or PSUR, and the risk associated with the device class determines which report is required, whether it must be reviewed by a notified body (NB), and the frequency of review.

Manufacturers of low-risk devices aren’t required to submit a PSUR, but must maintain a PMSR and make it available to competent authorities. A PMSR must summarise the results and conclusions of post-market surveillance (PMS) data, and include a description and rationale of any corrective actions taken. Moderate and high-risk devices and IVDs must have a PSUR, which is much more detailed and extensive than a PMSR.

Requirements for PSURs

Manufacturers must update PSURs depending on the device class, as outlined in the table below.

Table 1: PSUR frequency updates by classification

Device Type 

Classification 

Report Type 

Update Frequency 

Medical Device 

Class l 

PMSR 

Recommended every 2-5 years 

Class lla 

PSUR 

Every 2 years

Class llb, lll  

PSUR 

Every Year

IVD 

Class A, B 

PMSR 

Recommended every 2-5 years 

Class C, D 

PSUR 

Every Year

High-risk devices and IVDs must have PSURs updated every year, even if certification is for a two-year period.

You must submit PSURs for Class III devices, and Class C and D IVDs to NBs via an electronic system. The NB will then review the report and add its evaluation to that electronic system, with details of any action taken. Such PSURs and the evaluation by the notified body shall be made available to competent authorities through that electronic system.

For all other classes, the PSUR must be made available to the notified body involved in the conformity assessment and, upon request, to competent authorities.

Article 86 of the EU MDR 2017/745 defines the requirements for the Periodic Safety Update Report. Specifically, the PSUR shall include:

  • the conclusions of the benefit-risk determination;
  • the main findings of the PMCF; and
  • the volume of sales of the device and an estimate evaluation of the
    size and other characteristics of the population using the device, and, where practicable, the usage frequency of the device.

Although the above appears to be a comprehensive list of information that must be included in the PSUR, it isn’t reflective of the level of analysis required. Just including these three sections in the PSUR is not enough.

For example, sales volume is connected to product usage for complaint rate calculations to understand the frequency. Without connections such as this, the sales or complaint data on its own isn’t as significant.

Creating a Compliant PSUR

NBs want to see that data is both collected and improvements are being made. Competent authorities can also request and review PSURs as part of their vigilance investigation, clinical trial reviews and market surveillance activities.

Defining the Objective

The intent of PSURs is to improve devices and to have an accurate and complete picture and understanding of a device’s post-market performance. Taking this perspective will allow manufacturers to benefit from the effort.

Manufacturers should obtain and then maintain the safety big picture, ensuring consistency across the technical documentation. We can track data throughout the Quality Management System (QMS) process.

Complaints, usage, and other data go into the PSUR and also get added to the CER. All this information together allows more informed PMCF/PMPF planning decisions.

Collating and Analysing All the Data

This can be one of the most challenging aspects for manufacturers, and is where planning plays an essential role. Some data sources that should be referenced in PSURs include the following:

Table 2: PSUR Data Sources

Type of Data 

Source(s) 

Type of Data Collected 

Usage

Finance

Marketing

No. of Units Sold

Usage Frequency

Complaints

Internal Complaints

Marketing Surveys

PMS Surveys

Complaint Dates

No. of Complaints

Failure Mode/Reason

No. of Units Involved

Country

Severity

Serious Incidents

Adverse Events

Recalls

Internal Database

Public Databases

Event Date(s)

No. of Events

Failure Mode/Reason

No. of Units Involved

Country

Trend Reports

Complaints Review Boards

PMS Review Boards

Vigilance Database

Meeting Minutes

Submitted Trend Reports

Vigilance Records

Technical Literature

CER Search Report

PubMed

Embase

Public Registries

Manufacturer Registries

Information on SOTA

Clinical Literature

Clinical Data on Device

Corrective and Preventative Actions

Quality Database

Date of Occurrence

Description of Issue(s)

Date Closed

Root Cause

Actions Taken

Summary of CAPA

It is advantageous to compile and analyse PMS data from multiple sources, as this allows to identify trends. The level of detail in data analysis is important. NBs want to know what the data means for the device or IVD, and will look for detailed analysis. Therefore, by taking the time to do this efficiently, it will reduce the number of queries.

Writing the Report

The items in the regulation should be followed, and other guidance on SSCP and PMCF should be referenced to understand more about how the MDR is being interpreted. Guidance on SSP and PMPF can also be referred to for understanding how the IVDR is being interpreted, which is very close to MDR, including the application of MDCG 2020-7 and 2020-8 guidance.

We should integrate PSUR data into risk management and any other affected documents to create a continuous circuit of information that flows between PSURs, CER, SSCP, and PMCF plans. However, if there are product issues, the risk file may need to be updated after the PSUR.

Ultimately, developing a compliant PSUR requires organisational alignment.

The report should include the most common or severe device problems, as well as a record of all complaint reasons. It’s best to provide as much data as possible, but it’s also critical to connect the dots for notified bodies.

Finally, you should use consistent administrative data throughout the documentation. NBs won’t spend time deciphering inconsistencies and will therefore reject reports if the administrative data doesn’t align with the other technical documents. 

Create alignment around how data will be gathered

  • Identify data sources: risk management, CERs/PERs, PMCF/PMPF, PMS/complaints, various business units, external databases, etc.
  • Use common terminology among all systems that capture data.
  • Know how to access all the data sources.
  • Identify the experts needed for any queries.
  • Ensure part numbers align between systems.
  • Understand the data exporting limits of each system.

Create a schedule

Ideally, you should monitor data month, and then issues are identified when they arise. We recommend to include analysis reports at management reviews. If it’s being viewed frequently, there is no unexpected data when annual reports are compiled. 

Set up systems

Make it as easy as possible to extract the data needed on the schedule set. This might include:
  • Instructions for accessing databases
  • Search terms to use
  • Similar devices to include in searches
  • Identifying the people responsible
  • A reference system for naming files
  • A document management system

Create report templates

Data should be presented consistently, and this is especially important when multiple departments gather, analyse, and present data. If you ensure that report templates are used consistently, it will help ensure that all documentation is aligned. 

Create a checklist

Manufacturers should use this at the end of the PSUR process and include follow-up activities. Remember that the PSUR doesn’t stand alone, but is an integral part of a continuous circuit between multiple systems.

CLIN-r+ recommendations

CLIN-r+ understands how challenging it can be to maintain regulatory and quality compliance, especially with new regulations in place. The PSUR is a new requirement for most manufacturers, but CLIN-R+ is here to help and know what notified bodies want to see. 

We have extensive experience creating post-market surveillance, PMCF/PMPF, and PSUR documentation.

CLIN-r+ comprehends what standards the notified bodies will use, and provides integrated services to enable data from PMCF/PMPF inputs (IFUs, PMS data, CER/PER, and RMF) to be fed into PSUR, CER/PER, and PMCF/PMPF reports. Interested? Get in touch!