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Medical Device Registration 
in South Korea 
Nicolas Clary 
Kobridge Consulting
Today’s Topics 
• Korean medical device market characteristics 
• Overview of the Korean regulatory process 
• Common framework 
• Comparison with US and EU process 
• Definitions 
• General Steps 
• Classification 
• Substantial Equivalence 
• In-country Representation requirements 
• Pre-market process (product license) 
• Korea Good Manufacturing Practices (KGMP)
Easier than it seems 
Lost ? Easier than you would think…
The MARKET
The Market 
• Similar as US and EU market 
• Established market 
• Opportunities based on replacement of the installed 
base or new technologies 
• Very regulated and « Opaque » market 
• More similarities with US market and regulations
The Market 
• Most doctors study in US then expect to find the 
same technology in Korea 
• High influence on the choice of products by doctors 
especially when used in US 
• The market path could be then first US clearance and 
then South Korea
South Korean 
Regulatory Process
The South Korean Regulatory 
Process for Medical Devices 
Since 2013: 
The former Korea Food and Drug Administration 
(KFDA), an agency under MHW, regulating all Medical 
Devices was promoted to ministry level: Ministry of 
Food and Drug Safety (MFDS). 
The legal framework for the regulatory system is 
based on the Medical Devices Act No. 10564. Medical 
devices must meet the requirements of the Medical 
Devices Act, and obtain registration with the MFDS 
before being sold in the country.
The major steps 
1. Determine the class of the product 
2. Establish an equivalence 
3. Assign a « License Holder » 
4. Prepare the file 
5. Tests 
6. Review (with or without technical file) 
7. KGMP certification (if required) 
8. Place on the market
General Consideration about 
framework
Where to start 
from? 
 Most applicants have 
their products already 
registered in US or EU. 
 Therefore it is useful 
whenever possible to do 
a comparison analysis 
between the 3 markets
Participants in ensuring the safety of 
medical device
Interested parties of medical devices 
in Korea, EU and USA 
Korea EU USA 
Medical Device Act Medical Device 
Directive 
Federal Food Drug & 
Cosmetic Act 
Manufacturer Manufacturer Manufacturer 
Registered Importer Authorised 
Representative 
U.S. Agents 
MFDS Notified Body FDA 
Medical Device 
Technical Document 
Review Agency 
Third Party
Common stages of government 
regulations
Common framework for medical 
device regulations 
STAGE PRE-MARKET PLACING ON-MARKET POST-MARKET 
CONTROL/ 
MONITOR 
PRODUCT SALE AFTER-SALE/USE 
PERSON MANUFACTURER VENDOR VENDOR/USER 
Items or activities 
regulated 
Device attributes 
• Safety and performance 
Establishment registration 
• List products available or 
in use 
• Requires vendor to fulfill 
after-sale obligations 
Surveillance/vigilance 
• After-sale obligations 
• Monitoring of device’s 
clinical performance 
• Problemidentification 
and alerts 
Manufacturing 
• Quality systems 
Labelling 
• Accurate description of 
product 
• Instructions for use 
Advertising 
• Prohibits misleading or 
fraudulent advertisement
Definition
Definition of Medical Device 
 Korea (Medical Device Act) - Chapter1, Article 2 
 For the purpose of this Act, the term "medical device" means any instrument, 
machine, contrivance, material or similar article that is used on human beings or 
animals either alone or in combination with other devices and that falls under any of 
the following Items provided below. However, drugs or quasi-drugs under the 
Pharmaceutical Affairs Act or, among the disabled-assistive-devices under Article 65 of 
the Act for Welfare of the Disabled, artificial limbs and orthotics shall be excluded: 
 1. Articles used for the purpose of diagnosis, cure, alleviation, treatment, or prevention 
of illness; 
 2. Articles used for the purpose of diagnosis, cure or alleviation of or compensation for 
an injury or disability; 
 3. Articles used for the purpose of test, replacement, or modification of the structure 
or functions [of the body]; or 
 4. Articles used for the purpose of control of conception.
Definition of Medical Device 
 EU(MedicalDevice Directive –93/42/EEC amended by 2007/47/EC) - Article 1 
 ‘medical device’ means any instrument, apparatus, appliance, software, material or 
other article, whether used alone or in combination, including the software intended 
by its manufacturer to be used specifically for diagnostic and/or therapeutic purposes 
and necessary for its proper application, intended by the manufacturer to be used for 
human beings for the purpose of: 
 -diagnosis, prevention, monitoring, treatment or alleviation of disease, 
 -diagnosis, monitoring, treatment, alleviation of or compensation for an injury or 
handicap, 
 -investigation, replacement or modification of the anatomy or of a physiological 
process, 
 -control of conception, 
 and which does not achieve its principal intended action in or on the human body by 
pharmacological, immunological or metabolic means, but which may be assisted in its 
function by such means;
 USA (the Federal Food Drug & Cosmetic Act) - 201(h) 
 A device is"an instrument, apparatus, implement, machine, contrivance, implant, in 
vitro reagent, or other similar or related article, including a component part, or 
accessory which is: 
 •recognized in the official National Formulary, or the United States Pharmacopoeia, 
or any supplement to them, 
 •intended for use in the diagnosis of disease or other conditions, or in the cure, 
mitigation, treatment, or prevention of disease, in man or other animals, or 
 •intended to affect the structure or any function of the body of man or other animals, 
and which does not achieve any of it's primary intended purposes through chemical 
action within or on the body of man or other animals and which is not dependent 
upon being metabolized for the achievement of any of its primary intended 
purposes." 
 
Definition of Medical Device
Definition of Medical Device 
 Comments on the different definitions 
 The main difference between the Korean definition 
and the other two is: 
 In Korea, drugs and quasi-drugs are exclude from the 
scope of the medical devices 
 Caution: some gels, lotions or similar product could fall 
in that category
Summary of the major steps
Steps to MFDS Compliance 
1. Determine medical device status and classification 
2. Determine Substantial Equivalent (SE) availability 
3. Korea License Holder assignation 
4. Application preparation 
5. Product testing (as required) 
6. Application (with Technical File as required) review 
7. KGMP Certification (as required) 
8. Place products on market
Classification
Device Status and Classification 
Class 1 
(low risk) 
Class 2 
(Medium 
Risk) 
Class 3 
(Medium- 
High Risk) 
Class 4 
(High Risk) 
Increasing risk for the patient
Classification of Medical Device 
Korea EU USA 
KFDA Notification No. 
2010-91 
MDD Annex IX 21 CFR 862-892 
Class 1 
Class 2 
Class 3 
Class 4 
Class I , Class I (sterile, 
measure)* 
Class IIa 
Class IIb 
Class III 
Class I 
Class II 
Class III 
Classification of 
medical devices are 
already defined 
Classify according to 
the classification Rule 
(Rule 1 ~ Rule 18) 
Classification of 
medical devices are 
already defined
Conformity assessment procedure 
Class of 
medical devices 
Risk classification Approval or Certification 
Class 4 High risk Product approval by MFDS 
Clinical data 
Class 3 Medium risk Product approval by MFDS 
Class 2 Low risk Product approval by MFDS 
Technical document review 
by 3rd Party 
Class 1 Extremely low risk Product notification to 
MFDS
Substantial Equivalence
MFDS Substantial Equivalence (SE) 
Substantial equivalency is supported by proper scientific 
rationale or supporting documents. A comparison table 
exists for each category of product with the following 
criteria: 
 Intended use 
 Principle of action 
 Raw material (for patient contact) 
 Performance 
 Testing method / standard 
 Instruction for use
MFDS Substantial Equivalence (SE) 
If the device has a substantial equivalent already sold in 
Korea no SER (Safety and Effectiveness Review) is 
needed. 
On the contrary SER is required if the equivalency 
cannot be proven.
Classification of Medical Device 
Korea EU USA 
Substantial Equivalence 
(SE) 
None Predicate Device 
SER (Safety and 
Effectiveness Review) 
None PMA (Pre-Market 
Application)
In-Country Representation
A strategy 
you must 
define
Korea License Holder Requirements 
The role of the Korea License Holder (KLH) is to 
coordinates and submits your medical device 
registration application to the MFDS on your behalf. 
It is essential to appoint a KLH as your representative 
if you don’t have any local business in South Korea
The strategy 
3 Options: 
 Distributor only (the distributor takes care of everything): 
registration, licenses, post-market follow-up, sales, 
marketing 
 License holder + distributor: same as above except license 
holder does registration, licenses, post-market follow-up 
 Subsidiary: establish your subsidiary in South Korea. The 
subsidiary becomes the license holder. A consultant takes 
care of the registration.
Different entities involved 
Korea EU USA 
Medical Device Act Medical device, in-vitro 
diagnostic directives 
Federal Food Drug & 
Cosmetic Act 
Manufacturer Manufacturer Manufacturer 
License Holder European 
Representative 
U.S. Agents 
MFDS Notified Body FDA 
Third Party Third Party
Pre-market process 
(product license)
Class I Devices: Premarket 
Notification 
• Class I standard device 
applications are considered 
accepted to the MFDS branch 
office 
• The Premarket Notification 
contains basic information on 
your medical device
General Technical File Preparation 
For Class II, III and IV medical devices 
with proven Substantial Equivalence, 
manufacturers must prepare a 
General Technical File. 
The General Technical File is similar to 
a US FDA 510(k) submission.
Safety and Effectiveness Review 
(SER) Technical File Preparation 
Manufacturers of Class II, III 
and IV devices without 
Substantial Equivalence must 
prepare SER Technical File 
submissions. 
The SER Technical File is 
similar to the US Premarket 
Notification submission.
SER Technical File Preparation: 
Clinical Data Requirements 
• Clinical data must be included in SER Technical File 
submissions to the MFDS 
• Clinical trials in Korea are typically not required 
• KFDA often accepts clinical data that has already been 
approved by an OECD member country or published 
in an SCI-listed scientific journal
Type Testing Requirements 
• All Class II, III and IV medical 
devices must undergo type 
testing by an independent 
laboratory. 
• Existing equivalent product 
testing may meet this 
requirement, as long as it 
complies with ISO, IEC, ASTM or 
GLP standards.
MFDS Certified Test Laboratories 
 14 certified test laboratories 
 Some of them have a full scope 
 Other have limited scope 
 Some are specialized in dental products 
 Determination of the acceptance of foreign test 
reports made by MFDS-authorized test labs
Technical File Submissions 
Once your Technical File is prepared, it must be 
submitted to the appropriate reviewer for approval. 
Class 2: reviewed by 3rd party, approved by MFDS 
Class 2,3,4 (SER or not): reviewed and approved by 
MFDS
KFDA Regulatory Timeframes and 
Costs 
MFDS 
Classification 
Review Time Fees 
Class 1 NA $35 
Class 2 35 days $1500 
Class 2 SER 80 days $450 
Class 3 and 4 65 days $195 
Class 3 and 4 
80 days $450 
SER
MFDS Authorized Third-Party 
Reviewers 
There are 6 companies authorized by the MFDS to 
perform reviews of Class 2 General Technical Files. It 
includes: 
Notified Bodies 
Korean test laboratories
Product License 
Once the technical file (SER or not) is approved, the 
submission process continues in order to obtain the 
product license 
It is recommended to submit at the same time the 
request for KGMP certificate
Korea Good Manufacturing 
Practices (KGMP)
An inspection ? 
Very much similar as an ISO 
13485 audit
Korea Good Manufacturing Practices 
(KGMP) 
Korea EU US 
KFDA Notification No. 
2010-93(Amended on 
December 27, 2010) 
Standards for 
Manufacture, Import and 
Quality Management of 
Medical Device 
EN ISO 13485: 2012 21 CFR Part 820 
Quality System 
Regulation (QS)/ 
Good Manufacturing 
Practices (GMP) 
Annex II 
Section 3 (Quality system) 
Section 5 (Surveillance) 
Annex V 
Section 3 (Quality system) 
Section 4 (Surveillance) 
Annex VI 
Section 3 (Quality system) 
Section 4 (Surveillance)
Korea Good Manufacturing Practices 
(KGMP) 
 Manufacturers of class 2, class 3 and class 4 are 
required to comply with KGMP requirements 
 The quality system compliant with KGMP is very much 
similar to ISO 13485 
 Onsite verification of the data from the Device Master 
Record
KGMP Certification Process 
 Preparation of the documents 
 Submission 2 months before the expected date of the 
inspection (in parallel with the submission of the 
technical file) 
 Review by 3rd Party and MFDS 
 Onsite Inspection 
 Issue the certificate (valid 3 years)
KGMP Certification Process 
KGMP inspections are performed by MFDS inspector 
and 3rd Party 
4 Korean laboratories are accredited to perform 
KGMP inspection
Final registration 
Following the approval, MFDS delivers a 
product license and a KGMP certificate 
Customs clearance of the product is done 
by the “license holder”
Thank You ! 
Nicolas Clary 
Kobridge Consulting 
+82 2 3450 1690 
Nicolas.clary@kobridgeconsulting.com 
www.kobridgeconsulting.com

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Kobridge medical devices registration in South Korea

  • 1. Medical Device Registration in South Korea Nicolas Clary Kobridge Consulting
  • 2. Today’s Topics • Korean medical device market characteristics • Overview of the Korean regulatory process • Common framework • Comparison with US and EU process • Definitions • General Steps • Classification • Substantial Equivalence • In-country Representation requirements • Pre-market process (product license) • Korea Good Manufacturing Practices (KGMP)
  • 3. Easier than it seems Lost ? Easier than you would think…
  • 5. The Market • Similar as US and EU market • Established market • Opportunities based on replacement of the installed base or new technologies • Very regulated and « Opaque » market • More similarities with US market and regulations
  • 6. The Market • Most doctors study in US then expect to find the same technology in Korea • High influence on the choice of products by doctors especially when used in US • The market path could be then first US clearance and then South Korea
  • 8. The South Korean Regulatory Process for Medical Devices Since 2013: The former Korea Food and Drug Administration (KFDA), an agency under MHW, regulating all Medical Devices was promoted to ministry level: Ministry of Food and Drug Safety (MFDS). The legal framework for the regulatory system is based on the Medical Devices Act No. 10564. Medical devices must meet the requirements of the Medical Devices Act, and obtain registration with the MFDS before being sold in the country.
  • 9. The major steps 1. Determine the class of the product 2. Establish an equivalence 3. Assign a « License Holder » 4. Prepare the file 5. Tests 6. Review (with or without technical file) 7. KGMP certification (if required) 8. Place on the market
  • 11. Where to start from?  Most applicants have their products already registered in US or EU.  Therefore it is useful whenever possible to do a comparison analysis between the 3 markets
  • 12. Participants in ensuring the safety of medical device
  • 13. Interested parties of medical devices in Korea, EU and USA Korea EU USA Medical Device Act Medical Device Directive Federal Food Drug & Cosmetic Act Manufacturer Manufacturer Manufacturer Registered Importer Authorised Representative U.S. Agents MFDS Notified Body FDA Medical Device Technical Document Review Agency Third Party
  • 14. Common stages of government regulations
  • 15. Common framework for medical device regulations STAGE PRE-MARKET PLACING ON-MARKET POST-MARKET CONTROL/ MONITOR PRODUCT SALE AFTER-SALE/USE PERSON MANUFACTURER VENDOR VENDOR/USER Items or activities regulated Device attributes • Safety and performance Establishment registration • List products available or in use • Requires vendor to fulfill after-sale obligations Surveillance/vigilance • After-sale obligations • Monitoring of device’s clinical performance • Problemidentification and alerts Manufacturing • Quality systems Labelling • Accurate description of product • Instructions for use Advertising • Prohibits misleading or fraudulent advertisement
  • 17. Definition of Medical Device  Korea (Medical Device Act) - Chapter1, Article 2  For the purpose of this Act, the term "medical device" means any instrument, machine, contrivance, material or similar article that is used on human beings or animals either alone or in combination with other devices and that falls under any of the following Items provided below. However, drugs or quasi-drugs under the Pharmaceutical Affairs Act or, among the disabled-assistive-devices under Article 65 of the Act for Welfare of the Disabled, artificial limbs and orthotics shall be excluded:  1. Articles used for the purpose of diagnosis, cure, alleviation, treatment, or prevention of illness;  2. Articles used for the purpose of diagnosis, cure or alleviation of or compensation for an injury or disability;  3. Articles used for the purpose of test, replacement, or modification of the structure or functions [of the body]; or  4. Articles used for the purpose of control of conception.
  • 18. Definition of Medical Device  EU(MedicalDevice Directive –93/42/EEC amended by 2007/47/EC) - Article 1  ‘medical device’ means any instrument, apparatus, appliance, software, material or other article, whether used alone or in combination, including the software intended by its manufacturer to be used specifically for diagnostic and/or therapeutic purposes and necessary for its proper application, intended by the manufacturer to be used for human beings for the purpose of:  -diagnosis, prevention, monitoring, treatment or alleviation of disease,  -diagnosis, monitoring, treatment, alleviation of or compensation for an injury or handicap,  -investigation, replacement or modification of the anatomy or of a physiological process,  -control of conception,  and which does not achieve its principal intended action in or on the human body by pharmacological, immunological or metabolic means, but which may be assisted in its function by such means;
  • 19.  USA (the Federal Food Drug & Cosmetic Act) - 201(h)  A device is"an instrument, apparatus, implement, machine, contrivance, implant, in vitro reagent, or other similar or related article, including a component part, or accessory which is:  •recognized in the official National Formulary, or the United States Pharmacopoeia, or any supplement to them,  •intended for use in the diagnosis of disease or other conditions, or in the cure, mitigation, treatment, or prevention of disease, in man or other animals, or  •intended to affect the structure or any function of the body of man or other animals, and which does not achieve any of it's primary intended purposes through chemical action within or on the body of man or other animals and which is not dependent upon being metabolized for the achievement of any of its primary intended purposes."  Definition of Medical Device
  • 20. Definition of Medical Device  Comments on the different definitions  The main difference between the Korean definition and the other two is:  In Korea, drugs and quasi-drugs are exclude from the scope of the medical devices  Caution: some gels, lotions or similar product could fall in that category
  • 21. Summary of the major steps
  • 22. Steps to MFDS Compliance 1. Determine medical device status and classification 2. Determine Substantial Equivalent (SE) availability 3. Korea License Holder assignation 4. Application preparation 5. Product testing (as required) 6. Application (with Technical File as required) review 7. KGMP Certification (as required) 8. Place products on market
  • 24. Device Status and Classification Class 1 (low risk) Class 2 (Medium Risk) Class 3 (Medium- High Risk) Class 4 (High Risk) Increasing risk for the patient
  • 25. Classification of Medical Device Korea EU USA KFDA Notification No. 2010-91 MDD Annex IX 21 CFR 862-892 Class 1 Class 2 Class 3 Class 4 Class I , Class I (sterile, measure)* Class IIa Class IIb Class III Class I Class II Class III Classification of medical devices are already defined Classify according to the classification Rule (Rule 1 ~ Rule 18) Classification of medical devices are already defined
  • 26. Conformity assessment procedure Class of medical devices Risk classification Approval or Certification Class 4 High risk Product approval by MFDS Clinical data Class 3 Medium risk Product approval by MFDS Class 2 Low risk Product approval by MFDS Technical document review by 3rd Party Class 1 Extremely low risk Product notification to MFDS
  • 28. MFDS Substantial Equivalence (SE) Substantial equivalency is supported by proper scientific rationale or supporting documents. A comparison table exists for each category of product with the following criteria:  Intended use  Principle of action  Raw material (for patient contact)  Performance  Testing method / standard  Instruction for use
  • 29. MFDS Substantial Equivalence (SE) If the device has a substantial equivalent already sold in Korea no SER (Safety and Effectiveness Review) is needed. On the contrary SER is required if the equivalency cannot be proven.
  • 30. Classification of Medical Device Korea EU USA Substantial Equivalence (SE) None Predicate Device SER (Safety and Effectiveness Review) None PMA (Pre-Market Application)
  • 32. A strategy you must define
  • 33. Korea License Holder Requirements The role of the Korea License Holder (KLH) is to coordinates and submits your medical device registration application to the MFDS on your behalf. It is essential to appoint a KLH as your representative if you don’t have any local business in South Korea
  • 34. The strategy 3 Options:  Distributor only (the distributor takes care of everything): registration, licenses, post-market follow-up, sales, marketing  License holder + distributor: same as above except license holder does registration, licenses, post-market follow-up  Subsidiary: establish your subsidiary in South Korea. The subsidiary becomes the license holder. A consultant takes care of the registration.
  • 35. Different entities involved Korea EU USA Medical Device Act Medical device, in-vitro diagnostic directives Federal Food Drug & Cosmetic Act Manufacturer Manufacturer Manufacturer License Holder European Representative U.S. Agents MFDS Notified Body FDA Third Party Third Party
  • 37. Class I Devices: Premarket Notification • Class I standard device applications are considered accepted to the MFDS branch office • The Premarket Notification contains basic information on your medical device
  • 38. General Technical File Preparation For Class II, III and IV medical devices with proven Substantial Equivalence, manufacturers must prepare a General Technical File. The General Technical File is similar to a US FDA 510(k) submission.
  • 39. Safety and Effectiveness Review (SER) Technical File Preparation Manufacturers of Class II, III and IV devices without Substantial Equivalence must prepare SER Technical File submissions. The SER Technical File is similar to the US Premarket Notification submission.
  • 40. SER Technical File Preparation: Clinical Data Requirements • Clinical data must be included in SER Technical File submissions to the MFDS • Clinical trials in Korea are typically not required • KFDA often accepts clinical data that has already been approved by an OECD member country or published in an SCI-listed scientific journal
  • 41. Type Testing Requirements • All Class II, III and IV medical devices must undergo type testing by an independent laboratory. • Existing equivalent product testing may meet this requirement, as long as it complies with ISO, IEC, ASTM or GLP standards.
  • 42. MFDS Certified Test Laboratories  14 certified test laboratories  Some of them have a full scope  Other have limited scope  Some are specialized in dental products  Determination of the acceptance of foreign test reports made by MFDS-authorized test labs
  • 43. Technical File Submissions Once your Technical File is prepared, it must be submitted to the appropriate reviewer for approval. Class 2: reviewed by 3rd party, approved by MFDS Class 2,3,4 (SER or not): reviewed and approved by MFDS
  • 44. KFDA Regulatory Timeframes and Costs MFDS Classification Review Time Fees Class 1 NA $35 Class 2 35 days $1500 Class 2 SER 80 days $450 Class 3 and 4 65 days $195 Class 3 and 4 80 days $450 SER
  • 45. MFDS Authorized Third-Party Reviewers There are 6 companies authorized by the MFDS to perform reviews of Class 2 General Technical Files. It includes: Notified Bodies Korean test laboratories
  • 46. Product License Once the technical file (SER or not) is approved, the submission process continues in order to obtain the product license It is recommended to submit at the same time the request for KGMP certificate
  • 47. Korea Good Manufacturing Practices (KGMP)
  • 48. An inspection ? Very much similar as an ISO 13485 audit
  • 49. Korea Good Manufacturing Practices (KGMP) Korea EU US KFDA Notification No. 2010-93(Amended on December 27, 2010) Standards for Manufacture, Import and Quality Management of Medical Device EN ISO 13485: 2012 21 CFR Part 820 Quality System Regulation (QS)/ Good Manufacturing Practices (GMP) Annex II Section 3 (Quality system) Section 5 (Surveillance) Annex V Section 3 (Quality system) Section 4 (Surveillance) Annex VI Section 3 (Quality system) Section 4 (Surveillance)
  • 50. Korea Good Manufacturing Practices (KGMP)  Manufacturers of class 2, class 3 and class 4 are required to comply with KGMP requirements  The quality system compliant with KGMP is very much similar to ISO 13485  Onsite verification of the data from the Device Master Record
  • 51. KGMP Certification Process  Preparation of the documents  Submission 2 months before the expected date of the inspection (in parallel with the submission of the technical file)  Review by 3rd Party and MFDS  Onsite Inspection  Issue the certificate (valid 3 years)
  • 52. KGMP Certification Process KGMP inspections are performed by MFDS inspector and 3rd Party 4 Korean laboratories are accredited to perform KGMP inspection
  • 53. Final registration Following the approval, MFDS delivers a product license and a KGMP certificate Customs clearance of the product is done by the “license holder”
  • 54. Thank You ! Nicolas Clary Kobridge Consulting +82 2 3450 1690 Nicolas.clary@kobridgeconsulting.com www.kobridgeconsulting.com