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CH REP — Full Obligations Guide

Establishment Requirement (Art. 56)

The CH REP must be legally established in Switzerland with a registered office, branch, or subsidiary with substantive operations. Virtual offices and PO boxes do not qualify.

Mandate Agreement

Must be in writing, signed before devices are placed on the market. Should specify: devices covered; obligations of each party; liability allocation; incident reporting and FSCA management processes; data sharing; termination conditions.

Full Obligations (Art. 57)

ObligationDetail
DAPI registrationRegister/notify all covered devices before or within 30 days of market placement
Vigilance reportingSubmit serious incident and FSCA reports to Swissmedic via eVigilance
FSCA coordinationNotify Swissmedic of FSCAs; coordinate FSN distribution to Swiss customers
DoC maintenanceMaintain copy of DoC; make available to Swissmedic on request
Implant cardFor implantable devices: maintain and ensure implant card is provided with device
CooperationCooperate with all Swissmedic market surveillance, inspection, and investigation activities
Complaint interfaceMaintain processes for receiving and forwarding customer complaints to manufacturer

Joint and Several Liability

The CH REP is jointly and severally liable with the manufacturer for all MedDO/IVDO compliance obligations. Swissmedic can pursue either party. Private indemnification arrangements between parties do not affect Swissmedic's ability to hold either accountable.

Terminating the Mandate

  1. CH REP notifies Swissmedic in advance of termination
  2. Manufacturer appoints new CH REP before old mandate ends, or withdraws device from market
  3. New CH REP updates DAPI with new contact details
  4. If no new CH REP is appointed before termination: device must be withdrawn from market

CH REP Public Register

Swissmedic maintains a publicly accessible CH REP register (name, address, contact details). Verify your CH REP is correctly listed.

Due Diligence When Selecting a CH REP

Consider: established Swiss track record; DAPI and eVigilance system experience; capacity for your device portfolio volume; contractual terms and liability framework; experience with your specific device types.

Official Sources

Disclaimer

AI-assisted navigation aid only. Always verify against official Swissmedic and Fedlex sources. Not legal or regulatory advice.