CER (Clinical Evaluation Report) is eU MDR에 따라 의료기기의 안전성과 성능을 입증하기 위해 임상 데이터를 평가하고 문서화하는 필수 종합 문서.
Complete Guide to CER
A Clinical Evaluation Report (CER) is a critical regulatory document required under EU Medical Device Regulation (MDR 2017/745) Annex XIV that systematically evaluates all available clinical data to demonstrate that a medical device meets safety and performance requirements and has an acceptable benefit-risk profile.
Regulatory basis and requirements:
Under EU MDR Article 61 and Annex XIV, manufacturers must prepare and continuously update a CER for all medical devices placed on the EU market. The CER must follow the structured methodology outlined in MEDDEV 2.7/1 Revision 4, which provides guidance on clinical evaluation. Notified Bodies review CERs during conformity assessment procedures for Class IIa, IIb, and Class III devices.
Purpose and objectives:
The CER serves multiple critical purposes:
- Demonstrates device safety and clinical performance through scientific evidence
- Supports regulatory compliance for CE marking
- Identifies and evaluates clinical risks and benefits
- Justifies intended purpose, claims, and contraindications
- Provides evidence-based foundation for instructions for use (IFU)
- Guides post-market clinical follow-up (PMCF) planning
Key components of a CER:
A compliant CER must include:
- Device description - Technical specifications, intended purpose, intended users, clinical claims
- Clinical background - Current knowledge, state of the art, alternative treatments
- Scope of clinical evaluation - Data sources, search strategies, inclusion/exclusion criteria
- Literature review - Systematic appraisal of published clinical data on equivalent/similar devices
- Clinical investigation data - Results from manufacturer's own clinical studies
- Post-market surveillance data - Complaint data, vigilance reports, registry data, PMCF studies
- Clinical data analysis - Critical appraisal of all evidence, gap analysis
- Benefit-risk determination - Weighing clinical benefits against residual risks
- Conclusions - Overall clinical evidence sufficiency, compliance with requirements
Clinical data sources:
CERs draw upon multiple types of clinical evidence:
- Published scientific literature (peer-reviewed journals, conference proceedings)
- Clinical investigation data from IDE/clinical trials
- Post-market clinical follow-up (PMCF) studies
- Clinical experience data from similar/equivalent devices
- Complaint and vigilance data
- Registry data and real-world evidence
- Bench testing and animal studies (limited supporting role)
Update frequency requirements:
EU MDR mandates different CER update frequencies based on device classification:
- Class III and implantable devices - At least annually
- Class IIb - At least every 2 years
- Class IIa and Class I with measuring function or sterile - Throughout device lifecycle, updated when new relevant data emerges
- Additional updates required when significant changes occur (design modifications, new risks identified, label claims changes)
MEDDEV 2.7/1 Rev 4 methodology:
This guidance document establishes the gold standard for clinical evaluation methodology:
- Stage 0: Planning and scoping
- Stage 1: Identification of pertinent data
- Stage 2: Appraisal of pertinent data
- Stage 3: Analysis of clinical data
- Stage 4: Conclusions and benefit-risk determination
Equivalence demonstration:
When relying on clinical data from similar devices, manufacturers must demonstrate equivalence across three dimensions:
- Technical equivalence - Same technical characteristics, specifications, materials
- Biological equivalence - Same biological characteristics and interaction with human body
- Clinical equivalence - Same clinical performance for intended purpose in target population
Common CER deficiencies:
Notified Bodies frequently identify these shortcomings:
- Insufficient literature search strategy documentation
- Inadequate appraisal of data quality and relevance
- Weak equivalence demonstration without robust justification
- Missing or incomplete gap analysis
- Lack of integration between literature data and manufacturer's own data
- Insufficient post-market data analysis
- Unclear benefit-risk conclusions
- Outdated CER not reflecting current state of the art
Relationship to other regulatory documents:
The CER interfaces closely with:
- Risk Management File (ISO 14971) - Clinical data informs risk analysis; residual risks feed into benefit-risk determination
- Post-Market Clinical Follow-up Plan - CER gaps drive PMCF objectives
- Summary of Safety and Clinical Performance (SSCP) - Public-facing summary of CER for Class III and implantable devices
- Instructions for Use (IFU) - Clinical evidence supports claims, warnings, and contraindications
- Technical Documentation - CER is part of technical file reviewed by Notified Bodies
Best practices for CER preparation:
- Engage clinical evaluation specialists with medical and regulatory expertise
- Conduct comprehensive, documented literature searches using multiple databases (PubMed, Embase, Cochrane)
- Apply transparent, pre-defined appraisal criteria for data quality assessment
- Maintain detailed documentation of equivalence rationale
- Integrate data from multiple sources into coherent clinical evidence picture
- Clearly articulate benefit-risk analysis with supporting evidence
- Establish routine update schedules aligned with MDR requirements
- Ensure traceability between CER conclusions and risk management, IFU, and labeling
The CER represents the cornerstone of clinical evidence generation for medical devices in the European Union, requiring rigorous scientific methodology and continuous updating throughout the device lifecycle.
Related Terms
More Clinical & Post-Market
View all의료기기 사용과 관련된 바람직하지 않은 경험으로, 환자 위해, 상해, 오작동 또는 아차사고를 포함하며 규제 당국에 보고해야 함.
의료기기의 임상적 이점을 위험과 비교하여 의도된 용도에 대한 수용 가능성을 결정하는 체계적 평가.
의료기기의 안전성과 성능을 평가하기 위해 인간 피험자를 대상으로 수행되는 체계적인 연구. EU 규정에 따라 특정 기기의 CE 마킹 전에 필요.
의료기기 품질, 안전 또는 성능 문제에 대한 고객 불만을 접수, 검토, 조사 및 대응하는 체계적인 프로세스.
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