
Navigating FDA Submission Routes Choosing the Right Pathway for US Market Entry
January 8, 2026Medical devices – the path to CE marking and market
February 8, 2026
Navigating FDA Submission Routes Choosing the Right Pathway for US Market Entry
January 8, 2026Medical devices – the path to CE marking and market
February 8, 2026
Achieving a CE mark is a major milestone—but it is not the end of the regulatory journey. Once a medical device enters the market, Post-Market Surveillance (PMS) becomes the primary mechanism for demonstrating that the device remains safe, effective, and compliant throughout its lifecycle.
A well-structured PMS system ensures audit readiness, supports continuous improvement, and helps manufacturers identify and mitigate risks based on real-world use.
This checklist provides a practical overview of key PMS requirements under EU MDR.
1.Embed PMS Into Your Quality Management System (QMS)
PMS should function as an active and continuous process within the Quality Management System, not as a standalone activity.
Manufacturers should:
- Systematically collect complaints, feedback, and vigilance data
- Analyse trends and signals on an ongoing basis
- Ensure PMS outputs feed into risk management and clinical evaluation
Embedding PMS into the QMS supports regulatory compliance and audit transparency.
2. Create a Device-Specific PMS Plan
Each device must have a documented, device-specific PMS Plan that defines:
- The type of data collected
- Data sources and review frequency
- Roles and responsibilities
- Methods for analysing and escalating findings
ISO/TR 20416:2020 provides a widely accepted structure for developing PMS plans aligned with EU MDR expectations.
3.Prepare the Required PMS Reports
EU MDR reporting requirements depend on the risk class of the device:
- Class I: Maintain a PMS Report
- Class IIa, IIb, III: Maintain a Periodic Safety Update Report (PSUR)
PSURs must include:
- Benefit–risk evaluation
- PMCF outcomes
- Sales volume and population exposure
- Summary of corrective and preventive actions
Reports must be kept up to date and available for review by notified bodies and competent authorities.
4.Plan and Maintain PMCF Activities
A Post-Market Clinical Follow-up (PMCF) Plan is required even when new clinical studies are not conducted.
PMCF activities may include:
- User surveys and registries
- Literature reviews
- Real-world performance analysis
MDCG 2020-7 provides guidance on structuring PMCF activities to confirm safety, performance, and benefit-risk balance over time.
5.Close the PMS Feedback Loop
Effective PMS requires action—not just data collection.
Manufacturers should:
- Update the Risk Management File
- Revise the Clinical Evaluation Report (CER)
- Review IFUs and labelling where necessary
- Document decisions, including justification when no changes are required
Closing the feedback loop demonstrates regulatory maturity and continuous improvement. PMS as an Ongoing Health Check
Post-Market Surveillance is not only a compliance requirement—it is a mechanism for learning from real-world use, improving patient safety, and maintaining long-term trust with regulators, healthcare professionals, and patients.
A well-maintained PMS system ensures readiness for audits, inspections, and evolving regulatory expectations.

