e health, mhealth and apps
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eHealth, mHealth and Apps
Erik VollebregtPartnerAxon Lawyers
26th AnnualEuroMeeting
25-27 March 2014ACV, Vienna
Austria
• Some words about the law
• Practical problems companies run into
• Modest proposals for solutions
Agenda
2
• eHealth Action Plan 2012 – 2020– struggles with Lisbon competences (“EU action shall
respect the responsibilities of the Member States for the definition of their health policy and for the organisation and delivery of health services and medical care.”)
• Pretty big changes in – regulation of medicinal products and medical
devices / IVDs– regulation of collection and processing of health data
EU political background
3
• Currently in flux with General Data Protection Regulation proposal
• Horizontal approach to all data causes friction in mHealth/eHealth sector– What we want to limit in marketing
and social media, we actually want to promote in healthcare (e.g. monitoring, profiling, further processing, traceability)
Personal data concerning health
4
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General Data Protection Regulation• Privacy-by-design/privacy-by-default
requirements• Software that captures health data must
be compliant by default with the design requirements
• Companies struggle with design requirements
6
General Data Protection Regulation• Data subject’s rights implementation
– Right to correct, information, be forgotten and of erasure problematic in clinical context
– Right to request interoperable and open source format copy of processed data
– Right to understand automated processing logic
• MEDDEV 2.1/6 on standalone software, currently under revision
• Differences in interpretation of what software constitutes a medical device
• EN 62304 standard• Lack of harmonised
interoperability standards
Regulation of software as MD / IVD
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Standalone software as medical device• Proposed new expansive definition of ‘medical
device’ that will impact mobile health
9
Accessories• Accessories are regulated as medical devices,
even if they are not medical devices themselves• Accessory 2.0 under new MDR and IVDD
proposals:– “an article which, whilst not being a medical device, is
intended by its manufacturer to be used together with one or several particular medical device(s) to specifically enable or assist the device(s) to be used in accordance with its/their intended purpose(s)”
• Addition of concept “or assist” potentially enlarges the scope considerably
10
Standalone software as a medical device• Some new requirements software
validation and verification under proposed new medical devices rules– Introduction of ‘mobile computing platform’– Environmental factors
11
Software as medical device
• MDEG on borderline and classification is working on several software matters
• EU court Lycocentre case– “every member state can qualify device
differently on different scientific considerations”
12
Borderline health / wellness
• Commission Green Paper on Health & Wellness to be released any moment
• EU court Brain Products case: “medical context” needed for medical device qualification
13
Standalone software as medical device• No eIFU for apps – compliance catch 22
• Professional liability• Contractual liability• Defective product
– Member states differ in whether e/mHealth software is a “product” under EU Product Liability Directive (85/374)
• Network outages?
Liability
14
Case study
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Case study
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