BS PD CEN TR 15640-2007 Health informatics — nMeasures for ensuring nthe patient safety of nhealth software《医疗信息学 确保病人安全的医疗软件的测量》.pdf
《BS PD CEN TR 15640-2007 Health informatics — nMeasures for ensuring nthe patient safety of nhealth software《医疗信息学 确保病人安全的医疗软件的测量》.pdf》由会员分享,可在线阅读,更多相关《BS PD CEN TR 15640-2007 Health informatics — nMeasures for ensuring nthe patient safety of nhealth software《医疗信息学 确保病人安全的医疗软件的测量》.pdf(48页珍藏版)》请在麦多课文档分享上搜索。
1、PUBLISHED DOCUMENT PD CEN/TR 15640:2007 Health informatics Measures for ensuring the patient safety of health software ICS 35.240.80 PD CEN/TR 15640:2007 This Published Document was published under the authority of the Standards Policy and Strategy Committee on 28 September 2007 BSI 2007 ISBN 978 0
2、580 56879 4 National foreword This Published Document is the UK implementation of CEN/TR 15640:2007. The UK participation in its preparation was entrusted to Technical Committee IST/35, Health informatics. A list of organizations represented on this committee can be obtained on request to its secret
3、ary. This publication does not purport to include all the necessary provisions of a contract. Users are responsible for its correct application. Amendments issued since publication Amd. No. Date CommentsTECHNICALREPORT RAPPORTTECHNIQUE TECHNISCHERBERICHT CEN/TR15640 August2007 ICS35.240.80 EnglishVe
4、rsion HealthinformaticsMeasuresforensuringthepatientsafetyof healthsoftware InformatiquedeSantMesurespourassurerlascurit dupatientvisvisdeslogicielsdesant InformatikimGesundheitswesenSicherstellungder PatientensicherheitbeiderNutzungvon Gesundheitsinformatikprodukten ThisTechnicalReportwasapprovedby
5、CENon16July2007.IthasbeendrawnupbytheTechnicalCommitteeCEN/TC251. CENmembersarethenationalstandardsbodiesofAustria,Belgium,Bulgaria,Cyprus,CzechRepublic,Denmark,Estonia,Finland, France,Germany,Greece,Hungary,Iceland,Ireland,Italy,Latvia,Lithuania,Luxembourg,Malta,Netherlands,Norway,Poland,P ortugal,
6、 Romania,Slovakia,Slovenia,Spain,Sweden,SwitzerlandandUnitedKingdom. EUROPEANCOMMITTEEFORSTANDARDIZATION COMITEUROPENDENORMALISATION EUROPISCHESKOMITEEFRNORMUNG ManagementCentre:ruedeStassart,36B1050Brussels 2007CEN Allrightsofexploitationinanyformandbyanymeansreserved worldwideforCENnationalMembers
7、. Ref.No.CEN/TR15640:2007:E2 Contents Page Foreword3 Introduction .4 1 Scope6 2 Terms and definitions .6 3 Symbols and abbreviations 7 4 Outline of the issues .8 5 General position on medical device controls .9 6 The border between health software products and medical devices 10 7 Classifying health
8、 software products10 7.1 Options.10 7.2 Conclusions.11 8 Options for control measures for health software products 11 8.1 General11 8.2 Labelling and documentation.12 8.3 Clinical evidence12 8.4 Incident reporting13 8.5 Quality Systems.13 8.6 Design control15 8.7 Risk management16 9 Standards specif
9、ic to risks of a particular nature 17 9.1 Conclusions.17 10 Observation on safety and risks in the user domain.17 10.1 Conclusions.17 11 Taxonomies17 11.1 Conclusions.17 12 Summary of conclusions 18 Annex A (informative) Position regarding medical devices in different countries 20 A.1 The EU, Austra
10、lia and Canada20 A.2 USA.21 A.3 The Global Harmonization Task Force (GHTF).22 Annex B (informative) Analysis of classification procedures 24 B.1 EU, Australian, Canadian and GHTF Medical Device Classification 24 B.2 USA Medical Device Classification25 B.3 USA FDA guidance related to software classif
11、ication.25 B.4 CEN classification of health software products .26 B.5 Conclusions.29 Annex C (informative) Risk management .30 C.1 Attributes necessary for successful uptake of risk management processes.30 C.2 Minimum components for an effective risk management process 30 C.3 Enterprise risk managem
12、ent processes31 C.4 Healthcare related risk management standards.34 C.5 Related risk management standards.36 C.6 Overall conclusions regarding risk management standards.39 Bibliography 41 CEN/TR 15640:20073 Foreword This document (CEN/TR 15640:2007) has been prepared by Technical Committee CEN/TC 25
13、1 “Health informatics”, the secretariat of which is held by NEN. Attention is drawn to the possibility that some of the elements of this document may be the subject of patent rights. CEN and/or CENELEC shall not be held responsible for identifying any or all such patent rights. CEN/TR 15640:20074 In
14、troduction The threat to patient safety In the past health-related software was primarily applied to relatively non-critical administrative functions where the potential for harm to the patient, as distinct from disruption to the organisation, was low. Clinical systems were generally unsophisticated
15、 often with a large administrative, rather than clinical, content and little in the way of decision support. Even clinical decision support systems tended to be light touch, relatively simple and understandable in their logic and used as a background adjunct to decisions, rather than a major influen
16、ce on which to rely routinely. This has changed and will continue to change substantially. The nature of these changes will increase the potential for risks to patients. There have been some high profile adverse incidents related to clinical software e.g. in the area of screening and patient call an
17、d/or recall where software malfunctions have resulted in failure to call at-risk patients. Such incidents have not only caused anguish for the patients concerned but may also have led to premature deaths. The trust of the general public has been severely affected. The scope for screening for disease
18、s is increasing significantly and it is in such applications involving large numbers of subjects that there will be heavy reliance, administratively and clinically, on software to detect normals and abnormals and to call or process those deemed to be at-risk. Such software needs to be safe for purpo
19、se. Chief Executives and others responsible for healthcare organisations need to recognise that: health software products have the potential to harm patients; this potential is growing as the complexity of implementations grow; healthcare organisations are increasingly reliant on health software pro
20、ducts. This means that, unless these risks are recognised and controlled, harm to patients may result with consequent damage to the reputation of a health organisation and substantial financial consequences in terms of legal damages. There is mounting concern around the world about the substantial n
21、umber of avoidable clinical incidents which have an adverse effect on patients of which a significant proportion result in avoidable death or serious disability 1 2 3 4 5 6. A number of such avoidable incidents involved poor or wrong diagnoses or other decisions. A contributing factor is often missi
22、ng or incomplete information or simply ignorance e.g. of clinical options in difficult circumstances or cross-reaction of treatments. It is increasingly claimed that information systems such as decision support, protocols, guidelines and pathways could markedly reduce such adverse effects. If for no
23、 other reasons and there are others this will lead, and is leading, to increasing utilisation of decision support and disease management systems which inevitably will increase in sophistication and complexity. It can also be anticipated that, due to pressures on time and medico-legal aspects, clinic
24、ians will increasingly rely on such systems with less questioning of their output. Indeed, as such systems become integrated with medical care any failure to use standard support facilities may be criticised on legal grounds. Increased decision support can be anticipated not only in clinical treatme
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