Regulatory Compliance for Dental Products

A Practical Guide for Medical Device Manufacturers

Regulatory compliance for dental products has become far more complex over the past decade. What was once a relatively straightforward pathway is now a demanding, lifecycle‑driven process that requires robust technical evidence, structured post‑market surveillance, and ongoing regulatory oversight.

For manufacturers bringing dental products to market—especially under the EU Medical Device Regulation (MDR) compliance is no longer a single milestone. It is a continuous obligation that influences product design, technical documentation, clinical evidence, and post‑market performance activities throughout the entire lifecycle.

From our experience as a CRO supporting medical device manufacturers, dental products often sit at the intersection of material science, clinical performance, and heightened regulatory expectations. This combination makes regulatory compliance both critical and increasingly challenging for manufacturers aiming to achieve and maintain market access.


What Regulatory Compliance Means for Dental Products

Dental products vs. dental medical devices

Many dental products are legally classified as medical devices, even when they are commonly perceived as materials or components. Items such as dental alloys, implantable components, restorative materials, and certain software‑driven solutions fall under medical device regulations when intended for a medical purpose.


This classification carries specific regulatory obligations for manufacturers, whether the product is used directly by clinicians or indirectly through dental laboratories.

Responsibility across the product lifecycle

Regulatory compliance extends far beyond initial approval. Manufacturers are responsible for:

  • Defining and maintaining the intended purpose
  • Ensuring ongoing safety and performance
  • Monitoring post-market data
  • Updating documentation as evidence evolves

Another key point is that compliance failures often arise not from missing documents, but from inconsistencies across lifecycle activities.

Why dental products face increased scrutiny

Dental devices frequently involve:

  • Implantable or long-term contact materials
  • Complex alloy compositions
  • Large legacy portfolios originally certified under previous regulations

These factors increase expectations around clinical evidence, biological safety, and post-market surveillance.

Which Regulations Apply to Dental Medical Devices?

EU MDR and its impact

In the European Union, dental medical devices are governed by Regulation (EU) 2017/745 (MDR). Compared to the former Medical Device Directive, MDR introduces:

  1. Stronger clinical evidence requirements
  2. Enhanced post-market surveillance obligations
  3. Increased scrutiny from Notified Bodies
  4. Clearer expectations for technical documentation consistency

CE marking and UKCA considerations

For manufacturers placing devices on the EU and UK markets, both CE marking and UKCA marking require coordinated yet distinct regulatory strategies. Although the underlying principles are similar, the timelines, documentation requirements, and regulatory interactions can differ significantly between the EU MDR/IVDR and the UK regulatory framework.

FDA and global context

For companies operating globally, dental product compliance must often align with FDA expectations and other international frameworks. While this article focuses on EU MDR, a global regulatory strategy should aim for evidence reuse and lifecycle consistency across jurisdictions.

Regulatory Classification of Dental Products

How to determine classification

Under MDR, dental devices are classified based on:

  • Intended purpose
  • Duration of contact
  • Invasiveness
  • Implantable status

Many dental materials and alloys fall into higher-risk classes than expected, particularly when used in implantable or long-term applications.

Why classification drives regulatory strategy

Classification decisions affect:

  • Conformity assessment routes
  • Clinical evidence depth
  • Post-market obligations
  • Notified Body involvement

Misclassification early in development often leads to costly rework later.

Core Regulatory Requirements for Dental Product Compliance

Technical documentation and conformity assessment

Regulatory compliance for dental products starts with technical documentation that clearly and consistently supports the device’s safety and performance. Under MDR, this documentation is reviewed as a single, connected system rather than as separate files.

Manufacturers must demonstrate that the device is well defined, risks are properly controlled, and clinical and biological evidence support the intended use. In practice, regulatory findings often arise not because documents are missing, but because different parts of the technical file are not fully aligned.

Clinical evaluation

Clinical evaluation must show that the dental device performs as intended and remains safe throughout its lifecycle. This assessment is typically based on a combination of clinical data, relevant scientific literature, and post-market evidence where available.

For dental devices, regulators closely scrutinize whether clinical claims align with the intended purpose and the conclusions from risk management activities. Any inconsistency between these elements is one of the most frequent causes of Notified Body questions during technical documentation review.

Biological evaluation and material safety

Biological evaluation is particularly important for dental materials that come into prolonged or permanent contact with the body. Manufacturers are expected to follow a structured, risk-based approach that justifies testing, addresses worst-case configurations, and integrates toxicological considerations where relevant.

Weak biological rationales or conclusions that are not reflected in risk management and labelling are frequent sources of non-conformities.

Risk management and traceability

Risk management under MDR is a continuous process, not a one-time activity. Regulators increasingly expect clear traceability between identified hazards, risk control measures, supporting clinical and biological evidence, and the information provided to users.

Consistency over time is critical. Risk management conclusions must remain aligned with clinical evaluation updates and post-market data as new information becomes available.

Labelling and instructions for use (IFUs)

Labelling and IFUs must accurately reflect the device’s intended use, residual risks, contraindications, and safety-related information. Inconsistencies between labelling and technical documentation are a common reason for regulatory findings.

Under MDR, labelling is assessed as a direct extension of the manufacturer’s risk and clinical conclusions, not as a standalone deliverable.

Post-Market Obligations for Dental Medical Devices

Post-Market Surveillance (PMS)

PMS systems must actively collect and analyse real-world data. This includes:

  • Complaint handling
  • Trend analysis
  • Vigilance reporting
  • Periodic safety updates

PMCF and PSUR

Depending on classification and risk, manufacturers may be required to implement:

  • Post-Market Clinical Follow-up (PMCF)
  • Periodic Safety Update Reports (PSUR)

Post-market data is not optional, it is central to demonstrating ongoing compliance.

Common Regulatory Compliance Challenges for Dental Products

Legacy devices and MDR transitions

Many dental products on the market today were originally certified under older regulatory frameworks. Transitioning these products to MDR often reveals gaps in:

  • Clinical evidence
  • PMS systems
  • Biological evaluation rationale
  • Documentation consistency

Portfolio-level complexity

For large dental portfolios, compliance challenges multiply. Managing hundreds of devices requires:

  • Structured regulatory frameworks
  • Harmonised documentation strategies
  • Scalable post-market systems

This is where compliance often fails if not addressed strategically.

Notified Body expectations

Notified Bodies assess how well manufacturers control their products over time. Audit readiness depends on:

  • Evidence coherence
  • Lifecycle thinking
  • Demonstrated control, not just document availability

The Role of a CRO in Dental Product Regulatory Compliance

Manufacturers involving a CRO

Manufacturers typically engage a CRO when:

  • Internal teams need execution support
  • Portfolios are large or complex
  • Timelines are constrained
  • Notified Body interactions intensify

Execution vs. advisory support

Advisory guidance alone is rarely sufficient under MDR. Effective CRO support combines:

  • Hands-on document development
  • Evidence generation and alignment
  • Practical experience with audits and regulatory reviews

Supporting market access

A CRO working alongside manufacturers can help:

  • Reduce regulatory risk
  • Accelerate conformity assessment
  • Maintain long-term compliance across the product lifecycle

Key Takeaways: Placing Dental Medical Devices on the Market

Manufacturers that treat compliance as a strategic function (supported by the right expertise) are better positioned to place and maintain their products on the market without unnecessary delays or regulatory setbacks.

Regulatory compliance for dental products is:

If you’re preparing to bring a dental or medical device to market and require execution‑level CRO support, our team partners directly with manufacturers to provide comprehensive, end‑to‑end regulatory compliance services.

Let’s talk about your project, contact us.

Written by:
Carlos Galamba

Carlos Galamba

CEO

Senior regulatory leader and former BSI IVDR reviewer with deep experience in CE marking high-risk IVDs, companion diagnostics, and IVDR implementation.
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