IVDR Compliance Services for In Vitro Diagnostic Devices

Navigate the European IVDR requirements with confidence. From regulatory assessments and technical documentation reviews to Authorised Representative services and ongoing compliance support, Obelis helps menufacturers maintain access to the EU market. 

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Frequently Asked Questions

Does the 26 May 2026 deadline apply to all legacy IVDs? 

No, this deadline specifically applies to legacy devices that did not require CE certificate under IVDD and that will become IVDR class C device. 

What happens if I don't apply to a Notified Body by 26 May 2026?

Your device may no longer be legally placed on the EU market. Formal application to Notified Body before 26 May 2026 is legal condition to enjoy the extended transition period and continue placing the device on the market. 

When must my IVDs, upclassified to IVDR class C, be fully IVDR compliant?

By 31 December 2028, IVDs upclassified to IVDR class C must complete the transition and fully met IVDR requirements, ensuring they can continue to be lawfully placed and made available on the EU market. 

Can Obelis Group support my legacy device transition?

Obelis provides IVDR transition support tailored to IVDs upclassified to IVDR class C. Our team assists manufacturer with every stage of the process, from upgrading and aligning QMS with IVDR requirements to preparing and submitting a complete application package to the Notified Body. As your Authorised Representative, we guide you throughout the entire transition period. 

IVDR Specialists

End-to-End Support

Global Regulatory Partner

What's Next Under IVDR?

The In Vitro Diagnostic Medical Devices Regulation (IVDR 2017/746) sets the regulatory framework for IVD devices in the EU. 

It introduces stricter requirements for clinical evidence, performance evaluation, risk classification, PMS and vigilance to enhance patient safety and ensure high-quality diagnostics. Manufacturers whould prepare for upcoming IVDR legacy deadlines, including 26 May 2026 for Class C devices and 26 May 2027 for Class B and Class A sterile devices to ensure continued compliance. 

Stronger clinical evidence

Risk-based classification (A-D)

Enhanced transparency

Ongoing PMS and Vigilance

Better patient safety

Who Must Comply with IVDR?

Manufacturers

Non-EU Manufacturers

Importers

Distributors

Place and market IVD devices in the EU

Need an EU Authorised Representative

Responsible for market entry obligations

Must verify compliance before distribution

Why Manufacturers Need IVDR Support?

Device classification and rules

Performance evaluation requirements

Technical documentation updates

PMS & vigilance obligations

Notified Body interaction

Legacy device transition

Regulatory strategy planning

Obelis IVDR Compliance Services

EU Authorised Representative

IVD Gap Assessment

Technical Documentation Review

Label & UFI Review

PMS & Vigilance Support

Notified Body Selection

Regulatory Consulting

EUDAMED Registration

Ongoing Compliance

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Client Success Stories

The EUDAMED verification and mandate update were completed successfully, allowing us to maintain our device on the EU market without any regulatory issues or interruptions. The process was efficient and well managed. 

We successfully maintained our EU market access

Biobeat Technologies Ltd. 

The notification process was completed smoothly and efficiently. Thanks to the clear guidance and detailed communication, we were confident that all requirements were met and that the submission was properly aligned with EU expectations.

We achieved a fully compliant submission throughout a well-managed process

Bogenebiotech Co., Ltd.

Thanks to our consultant's expert support, the EU/IVDR review and EUDAMED registration were completed successfullt, and our biochemistry analyser is not fully compliant and placed on the EU market. The process was seamless, and we had full confidence at every step.

Their expert support gave us confidence at every step of the compliance process

Athenese-Dx Pvt.Ltd