The action to be funded under this topic is expected to achieve the following impacts:
1.Streamlined and ‘green’ delivery of information
2.Improved accessibility of information for users (HCPs and patients) and regulators. All the information that users might need is available in one place in their language of choice, thus increasing equal access of users to medical technologies.
3.Increased alignment between MDR and other EU and national legislations and streamlined compliance for all. One digital carrier will directly link the user with the up-to-date information required by the Digital Product passport in multiple languages (EU Packaging and Packaging Waste Regulation EU Battery regulation, information on spare parts, etc.), hereby contributing to the European Green Deal.
4.Increased competitiveness in the EU market thanks to improved supply management and streamlined packaging and labelling operations.
5.Driving acceptance through (voluntary) adoption of digital labels by medical device manufacturers and their use by end users, notified bodies, national competent authorities in the European market, supported by the developed training material. Digital label is considered an additional tool to requirements in current legislation (MDR, IVDR).
1 https://eur-lex.europa.eu/legal-content/EN/ALL/?uri=OJ:L_202401860
Expected Outcome:
The action under this topic must contribute to all of the following outcomes:
1. A consensus-based digital label concept/framework for medical devices and in vitro diagnostic medical devices (IVDs) is available to be used by manufacturers that meets end users’ requirements and addresses regulators’ demands.
2. Multiple valid and scalable digital label solutions based on a standardised approach are available and they:
3. Evidence-based recommendations are available that may inform the European Commission’s and the national competent authorities’ policy recommendations.
4. Training materials on digital labels are available to the end users (healthcare professionals (HCPs) and patients), regulators (national competent authorities) and notified bodies in the EU Member States.
5. A basis towards future international acceptance is created via:
1 Note: The term data carrier is synonymous with the ISO 19762 definition of Automatic Identification and Data Capture (AIDC) technologies (e.g., bar codes, smart cards, radio frequency identification, (RFID), etc.
2 e.g. ISO 20417 already offers a segway for digital label. This standard is also foreseen for harmonisation with MDR.
Scope:
A digital label is a form of e-labelling provided as an array of elements supporting a medical technology product, which is additional to critical information on the printed label (identification and traceability of the device, warnings and precautions, handling and use information). Access to the digital label is achieved, for example in the form of barcodes, 2D data matrix, QR codes, etc., which provides a scannable link to curated digital landing pages (websites) where the additional information will be displayed.
Under the current Regulations on medical devices and in vitro diagnostic medical devices (MDR/IVDR: Regulation (EU) 2017/745 of the European Parliament and of the Council of 5 April 2017 on medical devices and Regulation (EU) 2017/746 of the European Parliament and of the Council of 5 April 2017 on in vitro diagnostic medical) both critical information as well as additional information have to be included on the product’s printed label.
While many medical technology products are decreasing in physical size, mandatory requirements for additional product compliance information are growing, which leads to various problems. Users might find it difficult to locate the desired information on the label due to the extensive text and small print. Manufacturers have to update their entire physical label if they change an economic operator. Such label changes have an impact on the environment, product availability and inventory and they cause inefficiencies and ultimately raise costs. Local requirements for the label regarding device disposal are rising and lead to increased amounts of packaging (and therefore later increased amounts of waste). In case of new environmental legislation, the physical label needs also to be updated during the device’s lifetime.
The overall aim of this topic is to establish a consensus-based digital label concept applicable to all types and classes of medical devices and IVDs, making use of existing technologies that will be further improved to suit medical technology products specifically.
Note that this topic does not cover medicinal products, except combination products that fall under the scope of MDR/IVDR regulations and are, therefore, regulated as devices. Furthermore, this topic does not directly address the electronic provision of IFU (instructions for use) as this is already allowed for certain medical devices and IVDs in the EU. Access to eIFU through the digital label is only an additional benefit to facilitate access to all relevant information in one place (on top of the means of delivery allowed currently by MDR/IVDR). Finally, the scope of this topic does not address post market surveillance aspects.
Opening date
16 January 2025
Deadline dates
23 April 2025 17:00:00 Brussels time
14 October 2025 17:00:00 Brussels time
To fulfil the overall aim, the action funded under this topic must:
Applicants should develop a strategy and plan for generating appropriate evidence as well as for engaging and formally consulting with regulators (e.g. national competent authorities).
Sponsor Institute/Organizations: Innovative Health Initiative (IHI)
Sponsor Type:
Address: Avenue de la Toison d'Or 56-60 1060 Brussels Belgium
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23 April 2025 17:00:00 Brussels time
14 October 2025 17:00:00 Brussels time
$33,849,900
Affiliation: Innovative Health Initiative (IHI)
Address: Avenue de la Toison d'Or 56-60 1060 Brussels Belgium
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