Step by Step Guide
How to sell your medical devices & IVDs in the UK?
- Appoint a UK Responsible Person (UKRP)
The Medicines and Healthcare products Regulatory Agency (MHRA) requires non-UK manufacturers to appoint a UK Responsible Person (UKRP) to place a device on the market. The UKRP functions similarly to an authorized representative.
Adding the UKRP to the device labeling is only necessary if the device has UK Conformity Assessed (UKCA) marking. Until you obtain UKCA marking, you do not need to update your labeling to sell in the UK. Currently, the MHRA allows manufacturers to use their CE Marking.
There is no official UKRP symbol equivalent to the European EC-REP or Swiss CH-REP symbols at this time.
- Register your devices with the MHRA
The UKRP must register devices on behalf of non-UK manufacturers. Both the manufacturer and the devices must be registered with the MHRA.
After the application is submitted, the MHRA reviews it and issues marketing authorization. Note that this registration is not a ‘certification’ or ‘approval,’ as clarified in the MHRA’s registration guidance. Instead, it is a way for the MHRA to better monitor and understand the products being placed on the market.
The MHRA had set ‘Brexit’ transition deadlines for these registrations, which have now passed. Therefore, registration is mandatory before placing products on the UK market.
Once marketing authorization is granted, the registration is published in the MHRA public access database.
- Notify the MHRA of your UK Importer
Unlike the EU MDR/IVDR, UK medical device
regulation does not specifically define the role of an importer. However, if a
manufacturer has a UK importer, this importer must be registered with the MHRA.
The UK Responsible Person (UKRP) will complete this registration. Importer
information is not disclosed in the MHRA’s public access database; instead, it
is listed in the UKRP’s private online account with the MHRA.
- Obtain UK Conformity Assessed (UKCA)
Marking
Overview of CE Marking Transition
Period
The MHRA has introduced a new conformity
assessment process for Great Britain known as UKCA marking. However, it is not
mandatory at this stage.
There is currently a transition period that
allows companies to market devices based on their CE marking until:
- MDD/AIMDD
CE marked legacy devices: until 30 June 2028 or until the device no longer
qualifies as a legacy device under MDR Article 120.
- IVDD CE
marked legacy devices: until 30 June 2030 or until the device no longer
qualifies as a legacy device under IVDR Article 110.
- MDR/IVDR
CE marked devices: until 30 June 2030 or until the CE certificate expires.
The current UK medical device and IVD
regulation is based on the old EU Directives, with new, more robust UK
regulations expected to come into effect in July 2025.
This means that, while companies may choose
to obtain UKCA marking early, they can also continue to market their devices
based on CE marking during the transition period. After the transition dates,
UKCA marking will become mandatory for continued marketing in Great Britain.
To learn more about the UKCA / CE marking
transition period, please read: New Dates for UK Regulation & CE Marking.
UKRP Service Process
Research
Contact
Review
Appoint
Evaluate
Step 1 - Research
Initiate a thorough research process to pinpoint and compile a list of potential UKRP service providers. Prioritize the following actions:
- Gain a comprehensive understanding of the UK MHRA’s expectations from a UKRP.
- Identify a range of service providers available in the market.
- Verify the location and registration status of each service provider.
Step 2 - Contact
Reach out to the shortlisted entities and conduct a credibility assessment. It’s beneficial to inquire about their experience as a UKRP. Engaging in one-to-one verbal communication fosters better understanding, with a video call being recommended for a more personal interaction if feasible.
Step 3 – Review
Request quotes from the selected entities and meticulously review them. Evaluate the following aspects:
- Inclusions and exclusions of the offered services.
- Terms and conditions of engagement.
- Annual incremental costs and potential discounts for multi-year contracts. Remember, UKRP costs are recurring annual expenses, necessitating careful budget allocation.
Step 4 – Appoint
Upon reaching a decision, ensure all essential agreements are signed between both parties. Prior to signing, rigorously cross-check the legal, regulatory, payment, and other terms outlined in the agreement.
Step 5 – Evaluate
Appointing a UKRP doesn’t conclude the process. Conduct periodic evaluations to confirm that your chosen UKRP is fulfilling their required responsibilities adequately. Regular reviews help maintain compliance and ensure seamless operations.
Get In Touch
Contact Us
Office Mail
info@eomisconsultancy.co.uk
Office Number
01933712313
Office Address
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