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Serious Incident

Clinical & Post-Market
🇪🇺 EU
Updated 2025-12-26
Quick Definition

Serious Incident is jede Fehlfunktion oder Verschlechterung von Merkmalen oder Leistung eines Medizinprodukts sowie jede Unzulänglichkeit der Kennzeichnung oder Gebrauchsanweisung, die zum Tod oder zu einer schwerwiegenden Verschlechterung des Gesundheitszustands eines Patienten, Anwenders oder einer anderen Person geführt hat oder hätte führen können.

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Complete Guide to Serious Incident

A Serious Incident is a critical concept in EU Medical Device Regulation (MDR 2017/745) and In Vitro Diagnostic Regulation (IVDR 2017/746) vigilance systems. It triggers mandatory reporting obligations for manufacturers and forms the foundation of post-market safety surveillance.

EU MDR Article 87 definition:

A serious incident means any incident that directly or indirectly led, might have led, or might lead to any of the following:
- Death of a patient, user, or other person
- Temporary or permanent serious deterioration of health of a patient, user, or other person
- Serious public health threat

Key elements requiring all three components:

1. Incident occurred:
- Device malfunction or performance deterioration
- Characteristic or performance outside specifications
- Inadequacy in labeling or instructions for use
- Off-label use resulting in harm
- Interaction with other devices or medicinal products

2. Serious outcome (actual or potential):
- Death
- Serious deterioration in health
- Serious public health threat

3. Causal relationship:
- Device directly caused the outcome
- Device indirectly contributed to outcome
- Device might have led to outcome (near-miss)
- Device might lead to outcome if occurs again

Understanding "serious deterioration in health":

MDR Annex I defines serious deterioration as:
- Life-threatening illness or injury
- Permanent impairment of body structure or function
- Hospitalization or prolongation of hospitalization
- Medical or surgical intervention to prevent permanent impairment
- Chronic disease
- Any indirect harm due to incorrect diagnostic results

Examples of serious deterioration:
- Stroke, myocardial infarction
- Major surgery required due to device failure
- Permanent disability or loss of function
- Infection requiring hospitalization
- Burns, fractures, neurological damage
- Cancer, organ failure

Serious incidents vs. other safety events:

Serious incident (Article 87):
- Reportable to competent authorities
- Requires investigation and final report
- May trigger Field Safety Corrective Action (FSCA)
- Specific reporting timelines (2/10/15 days)

Non-serious incident:
- Still tracked and trended
- Part of post-market surveillance
- May become reportable if pattern emerges
- Reported in PSUR (Periodic Safety Update Report)

Near-miss or close call:
- No actual harm occurred
- Potential for serious harm existed
- Reportable if might have led to serious outcome
- Important for proactive risk management

Mandatory reporting timelines under Article 87:

Immediate notification (2 days):
Report to national competent authority within 2 days of awareness for:
- Serious public health threat requiring urgent action
- Events requiring immediate Field Safety Corrective Action
- Death or unexpected serious deterioration directly caused by device
- Wide-scale safety issue affecting multiple patients

Urgent notification (10 days):
Report within 10 days of awareness for:
- Death or serious deterioration in health
- Standard serious incidents
- Most reportable events fall into this category

Follow-up report (15 days):
Submit detailed final report or progress report within 15 days after initial notification:
- Root cause analysis findings
- Risk assessment and evaluation
- Corrective and preventive actions (CAPA)
- Field Safety Corrective Action implementation (if applicable)
- Conclusions and recommendations

Timeline starts from "awareness":
Manufacturer becomes aware when any employee or affiliate has information that would lead a reasonable manufacturer to conclude a reportable incident has occurred.

Reporting process and requirements:

Initial report content:
- Manufacturer and device identification
- Description of incident including timeline
- Outcome for patient/user (death, injury severity)
- Device information (model, serial number, UDI)
- Preliminary assessment of cause
- Initial risk evaluation
- Corrective actions taken or planned
- Whether similar incidents have occurred

Investigation requirements:
Manufacturers must:
- Conduct thorough root cause analysis
- Evaluate device design, manufacturing, labeling
- Review quality management system records
- Analyze similar complaints and incidents
- Assess need for Field Safety Corrective Action
- Determine if trend or systematic issue exists

Final report content:
- Detailed incident description and timeline
- Root cause analysis with supporting evidence
- Risk assessment per ISO 14971
- Corrective actions implemented
- Preventive actions to avoid recurrence
- Effectiveness verification plan
- Conclusion about device safety
- Updates to risk management file and technical documentation

Special reporting scenarios:

Death reports:
All deaths potentially related to device use must be reported even if causality is uncertain. Investigation determines actual relationship.

Series of related incidents (Article 88):
If multiple incidents with same root cause occur, manufacturers may submit:
- Initial reports for first few incidents
- Trend report for subsequent similar events
- Periodic summary reports
- Must be approved by competent authority

IVD incorrect results:
For in vitro diagnostic devices:
- Incorrect results leading to inappropriate clinical decision
- False positive causing unnecessary treatment
- False negative causing delayed diagnosis
- Must consider clinical impact on patient management

Reporting destinations:

EUDAMED (European Database on Medical Devices):
When EUDAMED is fully functional:
- Electronic reporting portal for all EU member states
- Real-time notification to all competent authorities
- Centralized incident database
- Automatic distribution to affected countries

National competent authorities (current system):
Until EUDAMED full implementation:
- Report to competent authority in country where incident occurred
- Report to competent authority in manufacturer's country
- May need to report to multiple authorities
- Each country may have specific portal or format

Examples of reportable serious incidents:

Device malfunction leading to harm:
- Infusion pump delivers wrong dose causing patient death
- Pacemaker battery fails prematurely requiring replacement surgery
- Surgical instrument breaks during procedure causing internal injury
- Diagnostic software error causing misdiagnosis and wrong treatment

Labeling inadequacy:
- Missing contraindication leads to device use in high-risk patient
- Unclear instructions cause user error and patient harm
- Inadequate warnings about known risks
- Translation errors leading to misuse

Sterility failure:
- Sterile device found to be contaminated causing infection
- Sterilization validation failure affecting device batch
- Packaging breach allowing microbial ingress

Material or design defect:
- Implant fractures inside patient body
- Material degradation causing toxic release
- Coating delamination causing embolic event
- Electrical insulation failure causing shock

Who must report serious incidents:

Manufacturers:
Primary responsibility for all incident reporting and investigation.

Authorized Representatives (EU AR):
May submit reports on behalf of non-EU manufacturers but does not replace manufacturer's responsibility.

Healthcare institutions and professionals:
In many EU countries, also required to report serious incidents to national authorities. Manufacturer still must investigate and report.

Importers and distributors:
Must immediately inform manufacturer of any incidents they become aware of.

Consequences of non-reporting or late reporting:

Regulatory actions:
- Warning letters and compliance notices
- Suspension of CE certificate by Notified Body
- Withdrawal of devices from market
- Fines and penalties (varies by member state)
- Criminal prosecution in severe cases

Reputational damage:
- Loss of trust with regulators
- Negative publicity affecting market position
- Customer concerns about safety culture
- Impact on future regulatory approvals

Serious incident reporting best practices:

Proactive surveillance:
- Monitor complaints for patterns
- Analyze returned devices thoroughly
- Review literature and competitor actions
- Maintain vigilance awareness training
- Establish clear escalation procedures

Robust investigation:
- Start investigation immediately upon awareness
- Preserve evidence and device samples
- Interview users and witnesses promptly
- Apply systematic root cause analysis tools
- Consider human factors and use environment

Timely reporting:
- Calculate timeline from true awareness date
- Submit reports before deadline
- Don't wait for complete investigation
- Provide interim reports if needed
- Communicate proactively with authorities

Quality documentation:
- Clear, factual incident descriptions
- Objective assessment without bias
- Complete device identification
- Transparent about uncertainties
- Well-supported conclusions

Continuous improvement:
- Track and trend all incident reports
- Identify systemic issues across product line
- Update risk management files
- Enhance post-market surveillance
- Share lessons learned across organization

Serious incident reporting is not just a regulatory obligation but a fundamental patient safety responsibility. Manufacturers demonstrating robust vigilance systems and transparent reporting build regulatory trust and protect public health.

Related Terms

FSCAFSNEU MDRPost-Market SurveillanceVigilance

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