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The French ministerial order laying down the Charter on the quality of professional practices for the presentation, information or promotion of medical devices for individual use, other health products and any associated services has finally been published on 8 March 2022.
This Charter sets out a new framework for providing information and carrying out promotional practices in relation to reimbursed medical devices.
The publication of the Charter has been awaited for long since it was announced under the Social Security Financing Law for 2018.
The Charter applies to a variety of activities and stakeholders, and adds a further layer to an existing regulatory framework combining the MDR, the French public health code, the French consumer code and guidelines issued by the National Agency for the Safety of Medicines and Health Products (ANSM).
The Charter applies to all products and services that are mentioned on the list of products and services reimbursed by the French social security (LPPR), and used notably in pharmacies and health institutions. This includes medical devices for individual use as well as health products (other than medicinal products) and associated services, irrespective of whether they are CE marked.
The Charter applies to the interactions between:
French and foreign exploitants and distributors of the listed products and associated services, as soon as they conduct the covered activities in France; and
all professionals (healthcare professionals or not), authorized to prescribe, use or purchase the listed products and services, regardless of the structure in which they practice (institutions, health care facilities, pharmacies, etc.).
The Charter aims at regulating all promotional, presentation or information activity, in any form, conducted at the initiative of the companies and service providers mentioned above with the targeted professionals during visits. Visits include both face-to-face meetings at the professional's place of practice and remote contacts (e.g., videoconferencing or teleconferencing, but excluding unplanned contacts).
The three categories of activities are defined by the Charter:
presentation of the listed products and services, the aim of which is to ensure an appropriate knowledge of the products or services, and to enable them to be used in accordance with proper use and the conditions of care;
information on technical, regulatory or therapeutic information on a listed product or service;
advertising of a listed product or service, which aims at encouraging the purchase, prescription, distribution or use of a listed product or service, as well as advertising of medical devices, as defined in the French Public Health Code.
The key takeaways to bear in mind are the following:
Non-compliance with the Charter by a company can lead to a financial penalty imposed by the CEPS. The amount of this penalty may not exceed 10% of the company's turnover (excluding taxes) in France for the last financial year for the product(s) or service(s) concerned.
The French Social Security Code provides that non-compliance identified by healthcare professionals and healthcare establishments must be reported to the Health Regional Agencies (ARS) which must then report them to the CEPS.
This specific financial penalty does not exclude the potential application of other sanctions provided by applicable French regulations, notably sanctions applicable to non-compliance medical device advertising regulations.
The adoption of this Charter is a first step in a process which aims at adapting companies’ practices in relation to information and promotion.
This step will be followed by the publication by the Haute Autorité de Santé of certification guidelines, which will ensure that companies comply with the provisions of the Charter, similarly to the pharma sector. These certification guidelines are expected to be adopted within twelve months.
In the meantime, companies operating in the healthcare & life sciences sector must anticipate the implementation of the requirements provided in the Charter, notably under their quality management system. A reassessment of internal practices and procedures may be required, as well as the implementation of new organization and training. Companies must also ensure they raise awareness internally with relevant stakeholders who will be in charge of implementing the requirements of the Charter in practice.
Authored by Mikael Salmela, Joséphine Pour, and Letizia Nieddu.