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Post-Market Surveillance Plans for MDR and MFDS: Unified Approach
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Post-Market Surveillance Plans for MDR and MFDS: Unified Approach

Build a single PMS plan that satisfies both EU MDR and Korean MFDS requirements. This 20-page guide covers structure, data sources, reporting, and integration.

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The PMS Convergence Opportunity

EU MDR Article 83-86 and Korean MFDS Notice 2023-104 both require:

  • Documented PMS plan covering device lifetime
  • Active and reactive surveillance components
  • Periodic safety reporting
  • Integration with vigilance
  • Plan updates based on findings

They differ in:

  • Reporting frequency (PSUR annually for MDR; annual report for MFDS)
  • Specific data elements required
  • Korean-specific patient population analysis
  • Notification timelines for action

A unified PMS plan with jurisdiction-specific outputs is operationally efficient.

Unified PMS Plan Architecture

Section 1: Device Scope and Risk Classification

  • Devices covered by plan
  • EU classification (Class I, IIa, IIb, III)
  • Korean classification (Class I, II, III, IV)
  • Risk classification rationale

Section 2: Surveillance Methodology

  • Active surveillance (proactive data collection)
  • Reactive surveillance (complaint and event reporting)
  • PMCF (Post-Market Clinical Follow-up) for EU MDR
  • Korean-specific surveillance elements

Section 3: Data Sources

Source Purpose EU/Korea Coverage
Customer complaints Reactive Both
Adverse event reports Reactive Both
Distributor feedback Active + Reactive Both
Literature monitoring Active Both
Regulatory database monitoring (FDA MAUDE, EU Eudamed) Active Both
Korean medical literature Active Korea-specific
Clinical investigator feedback Active (PMCF) EU emphasis
Hospital network data Active Korea-specific
User surveys Active Both

Section 4: Data Analysis

  • Statistical methods
  • Trend analysis frequency (quarterly recommended)
  • Korean subgroup analysis
  • Comparison with benefit-risk profile
  • Performance vs intended use

Section 5: Periodic Reports

Report Type Jurisdiction Frequency
PSUR (Periodic Safety Update Report) EU MDR Annually (Class IIa+), every 2 years (Class I)
PMS Report EU MDR Class I non-implantable Updated as needed
Annual Report Korean MFDS Annually
Significant Update Report Both When trends suggest action

Section 6: Action Triggers

  • Performance trends requiring CAPA
  • Vigilance thresholds requiring FSCA (Field Safety Corrective Action)
  • Regulatory notification triggers
  • Plan update triggers

Section 7: Integration with Vigilance

  • Adverse event reporting feeds PMS data
  • PMS trends inform vigilance thresholds
  • Unified investigation workflow
  • KLH interface (Korea-specific)

Section 8: Records and Documentation

  • PMS data archive (5+ years for Korea, lifecycle + 5 for EU MDR)
  • Periodic report archives
  • Decision documentation
  • Plan revision history

EU MDR vs MFDS — Detailed Comparison

Requirement EU MDR Korean MFDS
Plan required Yes (Article 84) Yes (Notice 2023-104)
Active surveillance Yes Yes
Reactive surveillance Yes Yes
PMCF (clinical follow-up) Yes (most classes) Recommended (not strictly required for all)
Periodic safety report PSUR annually Annual report
Trend reporting Required Required
FSCA reporting Per MDR Article 87-89 Per MFDS Notice 2023-104
Korean population analysis N/A Required
Korean clinical literature monitoring N/A Recommended
KLH interface N/A Required

PSUR vs MFDS Annual Report

Both required annually but differ in detail:

Element PSUR (EU MDR) MFDS Annual Report
Sales volume Yes Yes
Adverse event summary Yes (Eudamed reportable) Yes (Korean events)
Trend analysis Yes Yes
Benefit-risk reassessment Yes (formal) Yes (less formal)
CAPA summary Yes Yes
Regulatory actions taken Yes Yes
Korean clinical literature N/A Yes
Korean subgroup analysis N/A Yes
Submission to Notified Body / Eudamed MFDS via KLH

A unified data collection produces both outputs through different reporting templates.

Korean-Specific PMS Elements

Beyond EU MDR alignment, MFDS expects:

Korean Patient Population Analysis

  • Performance in Korean patients
  • Demographic subgroup analysis (age, gender, comorbidity)
  • Comparison with Korean clinical practice guidelines

Korean Healthcare Environment Considerations

  • Korean hospital usage patterns
  • Korean medical device combination scenarios
  • Korean healthcare workflow integration

Korean Regulatory Updates Tracking

  • MFDS notice monitoring
  • Korean medical device standard updates
  • Korean clinical guideline evolution

Operational PMS Workflow

Daily

  • Customer complaint intake
  • Adverse event triage
  • Distributor feedback monitoring

Weekly

  • Vigilance event review
  • Reportable event determination
  • KLH coordination for Korean events

Monthly

  • PMS data aggregation
  • Trend analysis
  • KPI dashboard update

Quarterly

  • Comprehensive PMS review
  • Action trigger evaluation
  • Management review input

Annually

  • PSUR generation (EU MDR)
  • MFDS annual report generation
  • Plan update review
  • Benefit-risk reassessment

Cost Estimates

Initial Setup (One-Time)

Component Cost
Unified PMS plan development $20K–$45K
Data collection infrastructure $15K–$50K
Analysis tools and templates $5K–$15K
Training $5K–$15K
Total Initial $45K–$125K

Annual Operating Costs

Component Cost
Daily/weekly PMS operations $40K–$100K
Quarterly reviews $10K–$30K
PSUR generation $15K–$40K
MFDS annual report generation $10K–$25K
Tool subscriptions $5K–$20K
Total Annual $80K–$215K

Common PMS Pitfalls

Pitfall 1: Separate Plans per Jurisdiction

Maintaining EU MDR PMS plan + MFDS annual reporting separately. Duplicates effort 60%+.

Fix: Unified plan with jurisdiction-specific outputs.

Pitfall 2: Reactive-Only Surveillance

Relying on complaint intake; missing active surveillance.

Fix: Active data collection (literature, distributor feedback, hospital data).

Pitfall 3: No Korean Subgroup Analysis

Korean events analyzed as part of global data; missing Korean-specific patterns.

Fix: Korean subgroup analysis in quarterly reviews and annual reports.

Pitfall 4: PSUR Generated Annually Without Quarterly Foundation

Annual PSUR rushed; quality suffers.

Fix: Quarterly PMS reviews build PSUR throughout year.

Pitfall 5: Vigilance and PMS Disconnected

Vigilance events not feeding PMS analysis.

Fix: Unified investigation workflow; vigilance events automatically inform PMS.

Frequently Asked Questions

Q: Can our distributor handle PMS?

A: Some yes, but most distributors lack capacity. KLH-driven PMS with manufacturer-supplied analysis is more reliable.

Q: How does FDA post-market surveillance fit?

A: FDA MAUDE-based reporting is reactive. FDA does not have PSUR equivalent for most devices. Active surveillance can be unified across FDA, EU MDR, and MFDS.

Q: What if we have many products?

A: Portfolio-level PMS plan with device-specific subsections. Pooled data analysis with device-specific risk assessment.

Q: Does Leanabl provide PMS services?

A: Yes. Leanabl's Vigilance & Post-Market Reporting and Korea Post-Market Operations services include PMS plan development and operations.

Q: How often should we update the PMS plan?

A: Minimum annually. Updates triggered by: significant adverse events, regulatory changes, product changes, plan effectiveness review.

How Leanabl Helps

Contact Leanabl for unified PMS planning.


Last updated: 2026-05-15.

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