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EUROPEAN UNION DRUG BARCODING REQUIREMENTS
REGULATORY AGENCY |
European Medicines Agency (EMA) |
REGULATION NAME |
Falsified Medicines Directive (FMD) and final Delegated Regulation (DR) |
COMPLIANCE DATES |
|
APPLIES TO |
|
UNIT-LEVEL PACKAGING (UNITS OF SALE)
BARCODE SYMBOLOGY |
Data Matrix ECC200 |
BARCODE CONTENTS | The “Unique Identifier” consisting of:
|
SERIAL NUMBER RANDOMIZATION | Must be generated by a deterministic or a non-deterministic randomization algorithm resulting in the probability that the serial number can be guessed being negligible, and in any case lower than one in ten thousand |
SERIAL NUMBER REUSE |
The combination of the product code and the serial number shall be unique to a given pack until at least one year after the expiry date or five years after sale or distribution |
HUMAN READABLE EXPIRY DATE FORMAT |
2 digits or at least 3 characters of ‘month’ and 4 digits of ‘year’ |
BARCODE DATA ENCODING |
Any encoding scheme that conforms with ISO/IEC 15418:2009 (this includes GS1 Application Identifiers and ASC MH 10 Data Identifiers and Maintenance) |
PRODUCT CODE NOTES |
“The product code shall follow a coding scheme and begin with characters specific to the coding scheme used. It shall also contain characters or character sequences identifying the product as a medicinal product. The resulting code shall be less than 50 characters and be globally unique.” GS1 GTINs fulfill this requirement but some member states will expect the use of a National Trade Item Number (NTIN), or a National Health Reimbursement Number (NHRN). Check with each member state for their specific requirements |
FREE SAMPLES MUST BE MARKED? |
Yes, data uploaded to the EU Hub just like other saleable products, but these units must be decommissioned when shipped as samples |
HOMOGENEOUS PACKAGING
BARCODE SYMBOLOGY |
Not Applicable |
|
BARCODE CONTENTS | Not Applicable |
LOGISTICS UNITS
LOGISTICS UNITS MUST BE SERIALIZED? |
No |
AGGREGATION DATA CAPTURE
UNIT-TO-CASE AGGREGATION CAPTURE? |
Not Required |
DATA EXCHANGE
SEND UNIT DATA TO GOVERNMENT REPOSITORY? | Yes (National Repositories) |
SEND UNIT DATA TO THIRD-PARTY REPOSITORY? |
Yes, EU HUB |
SEND UNIT DATA TO TRADING PARTNER? |
As applicable |
SEND AGGREGATION DATA TO GOVERNMENT REPOSITORY? | Not applicable |
SEND AGGREGATION DATA TO THIRD-PARTY REPOSITORY? |
Not applicable |
SEND AGGREGATION DATA TO TRADING PARTNER? |
Not required by law but will be necessary in many cases |
AUTHENTICATION
WHO OFFERS DATA REPOSITORY FOR AUTHENTICATION? |
EMVO and National Repositories |
MANUFACTURERS MUST REGISTER SHIPMENTS IN REPOSITORY? |
No, but manufacturers must indicate regions where the product(s) could be distributed |
DOWNSTREAM TRADING PARTNERS MUST AUTHENTICATE ON RECEIPT? |
Only dispensers, others optional except for products with a “high likelihood of illegitimacy” |
DOWNSTREAM TRADING PARTNERS MUST AUTHENTICATE ON SHIPMENT? |
Decommissioning is required by anyone who exports EU drugs outside of the EU |
GOVERNMENT REPORTING
MANUFACTURER ACTIVITY REPORTED? | Yes |
DOWNSTREAM TRADING PARTNER ACTIVITY REPORTED? |
Not Specified |
REGULATION ON MEDICAL DEVICES AND IVD INCLUDING UDI
REGULATORY AGENCY |
European Commision |
REGULATION NAME |
Unique Device Identification Rule |
COMPLIANCE DATES |
Phased MDR implementation: |
APPLIES TO |
Apply to all medical devices placed on the market except custom-made devices |
PRIMARY PACKAGING
(Packaging which is in direct physical contact with the active ingredient)BARCODE SYMBOLOGY |
Inter alia, ID/linear bar code, 2D/Matrix bar code, RFID |
BARCODE CONTENTS |
|
SERIAL NUMBER RANDOMIZATION | NA |
SERIAL NUMBER REUSE |
No |
HUMAN READABLE EXPIRY DATE FORMAT |
YYMMDD |
BARCODE DATA ENCODING |
UDI – PI |
FREE SAMPLES MUST BE MARKED? |
Primary Level Packaging Is defined as the first level of packaging in direct contact with the product and marked with an AIDC (Automatic Identification and Data Capture) data carrier either on the packaging or on a label affixed to the packaging. It may consist of a single item or group of items for a single therapy such as a Kit. For packaging configurations that include a retail consumer trade item, primary packaging is a packaging level below the retail consumer trade item. |
FREE SAMPLES MUST BE MARKED? |
No |
SECONDARY PACKAGING
(A carton containing one or more primary packs and includes a “mono carton” containing one primary pack)BARCODE SYMBOLOGY |
GS1 DataMatrix (inter alia, ID/linear bar code, 2D/Matrix bar code, RFID) |
BARCODE CONTENTS |
|
SERIAL NUMBER RANDOMIZATION | NA |
SERIAL NUMBER REUSE |
No |
HUMAN READABLE EXPIRY DATE FORMAT |
YYMMDD |
BARCODE DATA ENCODING |
UDI – PI |
PRODUCT CODE NOTES |
Due to the wide variety of secondary level packaging configurations for medical devices, following is additional guidance. In the following examples, the outer carton is the secondary level packaging.
|
FREE SAMPLES MUST BE MARKED? |
No |
TERTIARY PACKAGING
(A shipper containing one or more secondary packs)BARCODE SYMBOLOGY | SSCC | ![]() |
|
BARCODE CONTENTS | GS1-128 (SSCC) |
AGGREGATION DATA CAPTURE
PARENT-CHILD MAPPING AGGREGATION CAPTURE? |
Yes |
DATA EXCHANGE
SEND UNIT DATA TO GOVERNMENT REPOSITORY? | Yes (EUDAMED :- European Database for Medical Devices) |
SEND UNIT DATA TO THIRD-PARTY REPOSITORY? |
As applicable |
SEND UNIT DATA TO TRADING PARTNER? |
As applicable |
SEND AGGREGATION DATA TO GOVERNMENT REPOSITORY? | Yes |
SEND AGGREGATION DATA TO THIRD-PARTY REPOSITORY? |
As applicable |
SEND AGGREGATION DATA TO TRADING PARTNER? |
As applicable |
AUTHENTICATION
WHO OFFERS DATA REPOSITORY FOR AUTHENTICATION? |
European Commision |
MANUFACTURERS MUST REGISTER SHIPMENTS IN REPOSITORY? |
Yes (Import & Exports) |
DOWNSTREAM TRADING PARTNERS MUST AUTHENTICATE ON RECEIPT? |
Yes |
DOWNSTREAM TRADING PARTNERS MUST AUTHENTICATE ON SHIPMENT? |
Yes |
GOVERNMENT REPORTING
MANUFACTURER ACTIVITY REPORTED? | Yes |
DOWNSTREAM TRADING PARTNER ACTIVITY REPORTED? |
Yes |
Source and Credit: This information is fully or partly based on the GS1 master document (all rights reserved). As GS1 does not control the content of the information, GS1 shall not be held liable, under any circumstance, if it differs from the master document.
DISCLAIMER
This information is being provided ‘As Is’ with no claims of suitability for a particular purpose. It represents just a possible interpretation of information available in the public domain and that interpretation is subject to change. This information does not constitute legal advice.
ABOUT KEVISION SYSTEMS
Kevision Systems, a part of the Kevin Group, is a leading solutions provider for complete end to end inspection of products & services for the inspection of pharmaceutical products like tablets, capsules and more. In addition to the inspection systems, Kevision’s Track & Trace Software & related equipment provide a fully integrated solution to the traceability of pharmaceutical products & Supply Chain Integrity.
Built on the cornerstone of strong quality focus, we deliver excellent solutions with very high quality & reliability.
Kevision Systems is dedicated and driven to provide the finest & the most optimum solutions for the Supply Chain Integrity as well as Optical Inspection Systems. We stand strong on the pillars of integrity, professionalism, innovation and expertise and have earned the credibility to work with any size of projects. We strive to excel in terms of quality and technology and be a preferred partner for our valued clientele.
For Further Information, please contact our Compliance Team at info@kevision.in