As of 2025年第三季度, in our countryMedical Equipmentthe import volume is expected to exceed the scale of 23 billion US dollars, among which Class II and Class III medical devices account for more than 65%. On the policy side,the General Administration of Customs 2025 version of the Medical Device Classification Catalogueadds regulatory requirements for 7 types of equipment, and the transition period for the conversion of the EU MDR certification will officially end in February 2025年1. These changes are reshapingImport Representationthe technical threshold of services.
An empirical study based on more than 500 medical device import cases shows thatInvalid Quality Certification(32%),Deviation in Customs Classification(25%),Missing Technical Documents(18%) constitute the main risk sources:
High - quality agency service providers should possessTrinity ability structure:
In the case of a certain tertiary hospital importing a 3.0T magnetic resonance device, the agency service provider identified in advancethe risk that the FDA registration certificate was about to expire, coordinated with the US manufacturer to complete the certificate renewal, and avoideda 29 - day port detention loss after arrival at the port. This case verifiedthe pre - inspection and pre - review mechanismplays a key role in time cost control.
? 2025. All Rights Reserved. Shanghai ICP No. 2023007705-2 PSB Record: Shanghai No.31011502009912