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Latest Guidebook for Chinas Good Clinical Practice GCP for Medical Devices How to Use Overseas Clinical Trial Data to Apply for Market


Latest Guidebook for China’s Good Clinical Practice (GCP) for Medical Devices: How to Use Overseas Clinical Trial Data to Apply for Marketing Authorization in China

Report code: SDMRRE594178 | Industry: Research Report | Published On: 8/1/2019


In recent years, China’s healthcare market landscape and regulatory framework is undergoing rapid changes. Facing a gigantic population and rapid population aging as well as growing medical care demand, the Chinese government, on one side, accelerated the priority approval of innovative drugs and medical devices and relaxed the market access for overseas drugs and medical devices, on other side, intensified the supervision and administration for drugs and medical devices on the post—marketed and the marketing authorization approval. In January 2018, predecessor of the National Medical Products Administration (NMPA), China Food and Drug Administration (CFDA) issued the “Technical Guideline for Accepting Overseas Clinical Trial Data of Medical Devices” to attempt speeding up marketing authorization approval for overseas medical devices in China. At present, National Medical Products Administration (NMPA) is firmly enforcing this Guideline. Indubitably, this is an opportunity that the foreign medical device manufacturers let their medical devices successful entry the Chinese healthcare market. However, the Guideline clearly stated that overseas clinical trial data should not only comply with the ethical principles, legal principles and scientific principles but also the China’s GCP for Medical Devices. The Guideline elaborated the Chinese Drug Regulatory Authority on the considering factors and technical requirements for accepting overseas clinical trial data from the aspects of technical review requirements, differences of trial population and clinical trial conditions. In fact, during in the process of granting marketing authorization approval for overseas medical devices in China, not only the overseas clinical trial data of medical devices submitted by the overseas medical device manufacturer should comply with the China’s GCP for Medical Devices, but also the overseas medical device manufacturer should designate an agency with legal person status within the territory of China or its representative office stationed in China to act as its agent to apply for communication and exchange with the Center for Medical Device Evaluation of NMPA (hereinafter called as CMDE). If the overseas medical device manufacturer can reach a consensus with the CMDE on overseas clinical trial data of medical devices submitted, then the overseas medical device manufacturer has got half the results for marketing authorization approval. All these efforts, however, must be established on base complying with the China’s GCP for Medical Devices and the considering factors and technical requirements for overseas clinical trial data by Chinese Drug Regulatory Authority. Chinese regulatory approach is unique, which is different from that of US-EU. Chinese Drug Regulatory Authority administers and controls over this procedure of granting marketing authorization approval for overseas medical devices by exorbitant administrative measures and complex regulations. Moreover, the cultural difference between China and Western countries as well as the language barriers will increase the challenge faced by overseas medical device manufacturers. As a result, in order to smoothly pass this procedure of granting marketing authorization approval by submitted the overseas clinical trial data of medical devices, the overseas medical device manufacturers and their senior executive officers engaging in regulatory affairs need a comprehensive and thorough knowledge of China’s GCP for Medical Devices.

The aim of this Guidebook is to guide the overseas medical device manufacturers how to acquire a comprehensive and thorough knowledge of China’s GCP for Medical Devices, and how to use the overseas clinical trial data to apply for marketing authorization in China for overseas medical devices.

“Latest Guidebook for China’s Good Clinical Practice (GCP) for Medical Devices: How to Use Overseas Clinical Trial Data to Apply for Marketing Authorization in China” is an essential resource for overseas medical device manufacturers to use overseas clinical trial data to successfully apply for marketing authorization in China for overseas medical devices, which provided not only a comprehensive knowledge of the latest Chinese GCP for Medical Devices, but also a detailed guidance of practical operation how use overseas clinical trial data to apply for marketing authorization in China for overseas medical devices, and in compliance with the Chinese Drug Regulatory Authority on the considering factors and technical requirements for overseas clinical trial data, including how establish an interactive mechanism between the overseas medical device manufacturers and the CMDE to reduce risk from the review uncertainty and approval delays that avoid to exhaust overseas applicant's time and energy.

This Guidebook is composed of three parts. The organizations of this guidebook are arranged as follows. Part One China’s Good Clinical Practice for Medical Devices. Chapter 2 introduces the general regulations of the Chinese GCP for medical devices. Chapter 3 elaborates the preparation before clinical trial. Chapter 4 expounds the guarantee of rights and interests of subjects. Chapter 5 expounds the clinical trial protocol. Chapter 6 elaborates the responsibilities of ethics committee. Chapter 7 elaborates the responsibilities of sponsor. Chapter 8 elaborates the responsibilities of clinical trial institutions and investigators. Chapter 9 expounds the records and reports for clinical trial. Chapter 10 expounds the management of investigational medical devices for clinical trial. Chapter 11 expounds the management of basic documents for clinical trial. Chapter 12 elaborates the inspection key points for medical device clinical trial and the principles of judgment in compliance with the Chinese GCP for medical devices. Part Two Guidance of Practical Operation for Using Overseas Clinical Trial Data to Apply for Marketing Authorization in China. Chapter 13 elaborates the Chinese Drug Regulatory Authority on special regulations for overseas medical device manufacturers. Chapter 14 expounds the Chinese Drug Regulatory Authority on basic principles for accepting overseas clinical trial data. Chapter 15 expounds the Chinese Drug Regulatory Authority on criteria for accepting overseas clinical trial data. Chapter 16 expounds the Chinese Drug Regulatory Authority on the considering factors and technical requirements for accepting overseas clinical trial data. Chapter 17 elaborates how overseas medical device manufacturers apply for an interactive mechanism of communication and exchange with the CMDE. Chapter 18 elaborates how overseas medical device manufacturers communicate and exchange with the CMDE to reach the minutes of the communication and exchange meeting. Part Three Appendices including a full set of the English and Chinese bilingual application forms that are stipulated by the Center for Medical Device Evaluation (CMDE) of NMPA, and a full set of the English and Chinese bilingual exemplary document texts that are stipulated by the Chinese Drug Regulatory Authority, which are the essential documents to support China's GCP for Medical Devices. Chapter 19 Form and Document Text relating to the communication and exchange between the overseas medical device manufacturer and the CMDE, including the "Application Form of Communication and Exchange Meeting for Pre-Clinical Trial Approval Application” and “Template of Minutes for Communication and Exchange Meeting”. Chapter 20 Exemplary Document Texts relating to China’s GCP for Medical Devices, including the “Ethical Review and Approval Form of Application for Medical Device Clinical Trial”, “Text of Informed Consent Form”, “Text of Case Report Form for Medical Device Clinical Trial”, “Text of Clinical Trial Protocol for Medical Device”, “Text of Clinical Trial Report of Medical Device”, and “Basic Document Directory for Clinical Trial of Medical Device that must be Preserved”.

The audiences of this guidebook are overseas medical device manufacturers wishing to enter into the Chinese medical device market and multinational medical device companies have penetrated into the Chinese medical device market and their senior executive officers engaging in regulatory affairs expecting to understand how to use the overseas clinical trial data to apply for marketing authorization in China for their overseas medical devices, how to apply for clinical trials for their overseas medical devices in China, and how to comply with the latest Chinese GCP for Medical Devices to successfully apply for marketing authorization in China for their overseas medical devices.

After having skimmed through this guidebook, audiences can clearly acquire not only a comprehensive knowledge of the latest Chinese GCP for Medical Devices but also the guidance of practical operation how to use the overseas clinical trial data to apply for marketing authorization in China for their overseas medical devices. Access China Management Consulting Ltd hopes this guidebook, based on full and accurate regulations, can guide overseas and multinational medical device manufacturers and producers to achieve a successful entry into the Chinese medical device market and smoothly operate their business in China.

In January 2018, predecessor of the National Medical Products Administration (NMPA), China Food and Drug Administration (CFDA) issued the “Technical Guideline for Accepting Overseas Clinical Trial Data of Medical Devices” to attempt speeding up marketing authorization approval for overseas medical devices in China. At present, National Medical Products Administration (NMPA) is firmly enforcing this Guideline. Indubitably, this is an opportunity that the foreign medical device manufacturers let their medical devices successful entry the Chinese healthcare market. However, the Guideline clearly stated that overseas clinical trial data should not only comply with the ethical principles, legal principles and scientific principles but also the China’s GCP for Medical Devices. The Guideline elaborated the Chinese Drug Regulatory Authority on the considering factors and technical requirements for accepting overseas clinical trial data from the aspects of technical review requirements, differences of trial population and clinical trial conditions. In fact, during in the process of granting marketing authorization approval for overseas medical devices in China, not only the overseas clinical trial data of medical devices submitted by the overseas medical device manufacturer should comply with the China’s GCP for Medical Devices, but also the overseas medical device manufacturer should designate an agency with legal person status within the territory of China or its representative office stationed in China to act as its agent to apply for communication and exchange with the Center for Medical Device Evaluation of NMPA (hereinafter called as CMDE). If the overseas medical device manufacturer can reach a consensus with the CMDE on overseas clinical trial data of medical devices submitted, then the overseas medical device manufacturer has got half the results for marketing authorization approval. All these efforts, however, must be established on base complying with the China’s GCP for Medical Devices and the considering factors and technical requirements for overseas clinical trial data by Chinese Drug Regulatory Authority. Chinese regulatory approach is unique, which is different from that of US-EU. Chinese Drug Regulatory Authority administers and controls over this procedure of granting marketing authorization approval for overseas medical devices by exorbitant administrative measures and complex regulations. Moreover, the cultural difference between China and Western countries as well as the language barriers will increase the challenge faced by overseas medical device manufacturers. As a result, in order to smoothly pass this procedure of granting marketing authorization approval by submitted the overseas clinical trial data of medical devices, the overseas medical device manufacturers and their senior executive officers engaging in regulatory affairs need a comprehensive and thorough knowledge of China’s GCP for Medical Devices.
“Latest Guidebook for China’s Good Clinical Practice (GCP) for Medical Devices: How to Use Overseas Clinical Trial Data to Apply for Marketing Authorization in China” is an essential resource for overseas medical device manufacturers to use overseas clinical trial data to successfully apply for marketing authorization in China for overseas medical devices, which provided not only a comprehensive knowledge of the latest Chinese GCP for Medical Devices, but also a detailed guidance of practical operation how use overseas clinical trial data to apply for marketing authorization in China for overseas medical devices, and in compliance with the Chinese Drug Regulatory Authority on the considering factors and technical requirements for overseas clinical trial data, including how establish an interactive mechanism between the overseas medical device manufacturers and the CMDE to reduce risk from the review uncertainty and approval delays that avoid to exhaust overseas applicant's time and energy.

Contents.1
Chapter  1  Executive  Summary.4

Part  One      China’s  Good  Clinical  Practice  (GCP)  for  Medical  Devices.8
Chapter  2  General  Regulations.9
2.1.  General  Regulations.9
2.2.  Definitions.10
Chapter  3  Preparation  before  Clinical  Trial.15
Chapter  4  Guarantee  of  Rights  and  Interests  of  Subjects.16
Chapter  5  Clinical  Trial  Protocol.22
Chapter  6  Responsibilities  of  Ethics  Committee.24
Chapter  7  Responsibilities  of  Sponsor.28
Chapter  8  Responsibilities  of  Clinical  Trial  Institutions  and  Investigators.34
Chapter  9  Records  and  Reports.39
Chapter  10  Management  of  Investigational  Medical  Devices  .42
Chapter  11  Management  of  Basic  Documents.43
Chapter  12  Inspection  Key  Points  for  Medical  Device  Clinical  Trials  and  Principles  of  Judgment  in  Compliance  with  China's  GCP  for  Medical  Devices.44
12.1.  Inspection  Key  Points  and  Content  for  Medical  Device  Clinical  Trials.45
Table  12.1.  Inspection  Key  Points  and  Content  for  Medical  Device  Clinical  Trials.45
12.2.  Principles  of  Judgment  in  Compliance  with  China's  GCP  for  Medical  Devices.56

Part  Two    Guidance  of  Practical  Operation  for  Using  Overseas  Clinical  Trial  Data  to  Apply  for  Marketing  Authorization  in  China.58
Chapter  13  Chinese  Drug  Regulatory  Authority  on  Special  Regulations  for  Overseas  Medical  Device  Manufacturers.58
Chapter  14  Chinese  Drug  Regulatory  Authority  on  Basic  Principles  for  Accepting  Overseas  Clinical  Trial  Data  for  Medical  Devices.60
Chapter  15  Chinese  Drug  Regulatory  Authority  on  Criteria  for  Accepting  Overseas  Clinical  Trial  Data  for  Medical  Devices.62
Chapter  16  Chinese  Drug  Regulatory  Authority  on  Considered  Factors  and  Technical  Requirements  for  Accepting  Overseas  Clinical  Trial  Data  for  Medical  Devices.64
Chapter  17  How  Overseas  Applicants  Apply  for  an  Interactive  Mechanism  of  Communication  and  Exchange  with  the  CMDE.67
Chapter  18  How  Overseas  Applicants  Communicate  and  Exchange  with  the  CMDE  to  Conclude  the  Minutes  of  Communication  and  Exchange  Meeting.70

Part  Three    Appendices.75
Chapter  19  Form  and  Document  Text  relating  to  Communication  and  Exchange  between  the  Overseas  Applicant  and  the  CMDE.75
Annex  1  Application  Form  of  Communication  and  Exchange  Meeting  for  Pre-Clinical  Trial  Approval  Application.75
Annex  2  Communication  and  Exchange  Meeting  Minutes  Template.77
Chapter  20  Exemplary  Document  Texts  relating  to  China’s  GCP  for  Medical  Devices.79
Annex  3  Exemplary  Text  of  Ethical  Review  and  Approval  Form  of  Application  for  Medical  Device  Clinical  Trial.80
Annex  4  Exemplary  Text  of  Informed  Consent  Form.86
Annex  5  Exemplary  Text  of  Case  Report  Form  for  Medical  Device  Clinical  Trial.92
Annex  6  Exemplary  Text  of  Clinical  Trial  Protocol.98
Annex  7  Exemplary  Text  of  Clinical  Trial  Report.109
Annex  8  Basic  Document  Directory  for  Clinical  Trial  of  Medical  Device  that  must  be  Preserved.115
Annex 1 Application Form of Communication and Exchange Meeting for Pre-Clinical Trial Approval Application
Annex 2 Communication and Exchange Meeting Minutes Template.
Annex 3 Exemplary Text of Ethical Review and Approval Form of Application for Medical Device Clinical Trial
Annex 4 Exemplary Text of Informed Consent Form
Annex 5 Exemplary Text of Case Report Form for Medical Device Clinical Trial
Annex 6 Exemplary Text of Clinical Trial Protocol
Annex 8 Basic Document Directory for Clinical Trial of Medical Device that must be Preserved
Table 12.1. Inspection Key Points and Content for Medical Device Clinical Trials.
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