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Serious Incident

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

Serious Incident is 환자, 사용자 또는 기타 사람의 사망 또는 건강 상태의 심각한 악화를 초래했거나 초래할 수 있었던 의료기기의 오작동 또는 특성이나 성능의 저하, 라벨링 또는 사용 설명서의 부적절함.

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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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