We use some essential cookies to make this website work.
We’d like to set additional cookies to understand how you use GOV.UK, remember your settings and improve government services.
We also use cookies set by other sites to help us deliver content from their services.
You can change your cookie settings at any time.
Departments, agencies and public bodies
News stories, speeches, letters and notices
Detailed guidance, regulations and rules
Reports, analysis and official statistics
Data, Freedom of Information releases and corporate reports
This publication is licensed under the terms of the Open Government Licence v3.0 except where otherwise stated. To view this licence, visit nationalarchives.gov.uk/doc/open-government-licence/version/3 or write to the Information Policy Team, The National Archives, Kew, London TW9 4DU, or email: psi@nationalarchives.gov.uk.
Where we have identified any third party copyright information you will need to obtain permission from the copyright holders concerned.
This publication is available at https://www.gov.uk/government/publications/in-vitro-diagnostic-point-of-care-test-devices/management-and-use-of-ivd-point-of-care-test-devices
The aim of this document is to provide advice and guidance on the management and use of point of care testing (POCT) in vitro diagnostic (IVD) devices. It is a revised edition of the version first published in 2002 as DB 2002(03).
The key issues addressed in this guidance include:
This document is written for people involved in the management and use of POCT services in primary and secondary care including managerial, scientific, technical, clinical and nursing staff. While many of the issues addressed are relevant to the performance of POCT in a hospital environment, the principles are applicable to their use in outpatient clinics, community care, GP practices and other community providers and primary care settings.
Although primarily not intended for people who use self-testing devices and ‘direct to consumer testing‘ at home, this document may be useful to healthcare professionals involved in advising them.
Since the publication of the first edition of this Device Bulletin in 2002 there has been a continual rise in the use of POCT due to the drive to improve patient pathways and as a result of technological advances. Developments in fluid handling, microchip and miniaturisation technology and improved manufacturing processes are producing POCT devices which are more robust and less prone to error than previous generations. However, despite improvements in technology, the successful implementation of POCT is still dependent on the effective organisation and management of staff.
The importance of the management of POCT was emphasised in the 2006 ‘Report of the review of NHS pathology services in England’ which was an independent review for the Department of Health chaired by Lord Carter of Coles. Throughout this bulletin references have been made to key points from Lord Carter’s review relating to POCT.
POCT may be performed in a variety of locations such as acute units in secondary care and, increasingly, in the community and primary care. POCT must be performed by staff whose training and competence has been established and recorded. The reason for this is to protect the patient, and ensure the quality of the service is appropriate to the clinical setting. This is applicable to all providers of POCT services.
From a clinical governance perspective users of POCT should have a sound understanding of the relevant analytical principles, and of issues such as quality assurance (QA), interpretation of test results, limitations to use and liability issues. It is therefore important that users of POCT should have access to clear guidance on these and other issues relating to the management of POCT.
Guidelines for POCT have been produced by a number of organisations and the purpose of this document is to provide a check-list of questions that potential users of POCT will need to consider when implementing and managing POCT.
This document is intended to complement existing guidance on the management of in vitro diagnostic medical devices.
For the purpose of this document, POCT is defined as any analytical test performed for a patient by a healthcare professional outside the conventional laboratory setting. Other terms commonly used to describe POCT include:
POCT can be carried out in a wide variety of settings. The following list is not exhaustive but serves to illustrate the variety of locations.
This section deals with issues and questions that need to be considered before deciding whether to adopt a POCT option. The principles outlined here are equally applicable to existing POCT services.
This section covers some aspects of purchasing that may influence the safety, quality and performance of the devices. However, it does not attempt to address wider issues of best procurement practice, such as regulations implementing EU purchasing requirements, financial evaluations and purchasing specifications. Advice on such matters can be obtained from the Centre for Evidence Based Purchasing (CEP).
The local hospital pathology laboratory should play a key role in the development and management of a POCT service. This is particularly true for secondary care and may also be useful for some primary care services. The pathology laboratory can provide advice on a range of issues including the purchase of devices, training, interpretation of results, troubleshooting, quality control, quality assessment and health and safety. There should therefore be close liaison between users and the local hospital pathology laboratory on all issues relating to POCT. Wherever possible this liaison should be formally defined e.g. by a service level agreement specifying the range of products, services, operational details and the responsibilities of the central laboratory and the POCT user.
Excerpt from the Report of the Review of NHS Pathology Services in England
We have identified a number of factors which impede the delivery of an efficient and effective service. These include: …the fragmentation of parts of the service, particularly point-of-care services which are increasingly being undertaken by other members of the health care team, often with no reference to pathology services.
In pathology we also see the need for accreditation of POCT (irrespective of site of provision) with this preferably being integrated with that of the laboratory service because of the close synergies – from the patient’s perspective – between the two modes of testing.
Before deciding whether to implement POCT it is essential to:
In many cases improving the patient pathway and experience could be major considerations when introducing POCT. As regards clinical need, this should be based on establishing that the perceived need is valid. POCT must deliver an equivalent level of quality and clinical effectiveness as the alternative. Users should also keep under review the continuing clinical need for POCT.
The following questions should help in assessing the clinical need for POCT:
Users should be aware of some of the potential advantages and disadvantages of POCT before accepting the need for POCT. Examples of potential advantages and disadvantages are listed below:
As well as the clinical and economic benefits there are financial costs of providing a POCT service to consider. These may include:
Once a need has been established, the next step is to identify the most suitable device. Accuracy and precision of results, robustness of the device and a record of results all need to be evaluated and documented before acquisition. An accredited laboratory should be able to assist in the selection process. A local evaluation could be important to ensure compatibility of POCT with local reference ranges and clinical practice.
Excerpt from the Report of the Review of NHS Pathology Services in England
Part 2: 60 Minimising variation in results through standardisation of processes
‘This is particularly relevant at a time when opportunities for greater access and choice may result in patients attending a range of health care facilities during their journey along the care pathway. Greater standardisation would help to reduce the fragmentation of services, repeat testing and the consequent errors that occur. In addition there is a growing demand for point-of-care testing and patients may be managed using a combination of laboratory and point-of-care testing systems. There is also a growing market in do-it-yourself testing, which from a patient safety perspective should be considered in the same way…What is clear however is that these developments in near-patient testing must be safe, accurate – and foolproof.’
The following questions need to be considered.
The following questions need to be considered.
Users and managers of POCT should consider the benefits of equipment standardisation, such as minimising variation in results, cost-effectiveness for capital purchases and consumables (larger discounts), benefits for staff training (when staff move around different clinical settings etc.) and also for those staff who support the equipment.
Clinical governance covers the organisation’s systems and processes for monitoring and improving services, and is an essential part of any POCT service including:
The use of POCT as an alternative to laboratory testing should be considered as a clinical governance issue and subject to examination of clinical effectiveness. Such considerations may best be achieved through the setting up of a POCT committee (see Section 4).
There will be many people involved in the creation, implementation and management of a POCT service. It is vital that an appropriate senior professional is identified to act as a ‘POCT co-ordinator’ and given the authority and overall responsibility for the service at the beginning of the development process. This individual will have responsibility for both the results that are generated and the correct use of the devices that generate those results.
Managers of POCT should also be aware of their responsibility for clinical governance and of the medico-legal implications of an erroneous result. Liability under the Consumer Protection Act (1987) will only remain with the manufacturer or supplier if the user can demonstrate that the equipment has been used in strict accordance with the manufacturer’s instructions.
Lines of accountability should be clearly written into local policies and procedures and should cover the following areas:
In addition to the appointment of a POCT co-ordinator, the establishment of a multidisciplinary POCT committee to oversee POCT whether in the hospital setting or in some elements of primary care is recommended as good practice. All stakeholders should be represented in a POCT committee e.g. laboratory staff, clinicians, nursing staff, specialist nurses, pharmacists, IT and finance.
POCT in the community requires similar stakeholder representation; input from a clinical scientist or a biomedical scientist may be helpful.
The role of the POCT committee may include the following:
Only staff whose training and competence has been established and recorded should be permitted to carry out POCT. They should also receive continued support and regular updates.
The Department of Health and Social Care is working with the United Kingdom Accreditation Service (UKAS), Skills for Health and e-Learning for Healthcare to develop a flexible and robust accreditation service for POCT. The three main elements of the work are around accreditation, competence and the development of learning materials. e-Learning for Healthcare is responsible for the creation of the e-learning materials that will equip organisations and individuals with the skills to carry out point of care testing to the standards and competences defined by the assessment and accreditation approaches.
All staff performing POCT must be familiar with the manufacturer’s instructions for use, with particular reference to:
A known diabetic was admitted to a hospital intensive care unit and was on a complex regimen of treatments for a number of conditions. The patient’s blood glucose was measured at the point of care using a blood glucose meter. A high result indicated hyperglycaemia and insulin treatment was initiated. A separate sample sent to the hospital laboratory gave a markedly different result.
A thorough investigation, including a review of the manufacturers’ instructions, by the hospital and the MHRA revealed a number of contra-indications for use for the meter of which the users were unaware. These included that the POCT glucose meter should not be used on patients who were on treatments containing maltose. The patient suffered significant hypoglycaemia and complications because staff were unaware of this limitation.
We recommend having a standard operating procedure (SOP) in place wherever POCT is performed. It is essential that the SOP include a copy of the manufacturer’s instructions for use and that all existing copies are updated as appropriate.
The MHRA received several reports of false positive results from a pregnancy test used in hospitals. Reports also indicated that there was seemingly conflicting information regarding at what time the pregnancy test should be read and that staff were unsure where to find the correct information.
The manufacturer of the test issued a Field Safety Notice (FSN) updating the instructions for use (IFU) with regards to read time but a number of sites had not implemented it. The MHRA issued a Medical Device Alert to support the manufacturer’s FSN and inform test users of the correct read time and the need to be aware of the IFU.
POCT users and managers must recognise the hazards of handling and disposing of body fluids and sharps outside a laboratory setting.
POCT users and managers should be reminded of the importance of:
Further detail is available in the Health and Social Care Act 2008: Code of Practice of the NHS on the prevention and control of healthcare associated infection and related guidance.
This Code of Practice applies to NHS bodies for 2009/2010. For 2010 and 2011 a revised version of the code covering independent health care and social care will be available.
Outbreaks of hepatitis B were reported from several environments where blood glucose monitoring was being carried out for multiple patients. Thorough investigations identified that care workers were found to be using lancing devices intended for self-use (by one patient only) to take blood samples from multiple patients. This use of the wrong sort of lancing device was implicated in the transmission of the virus.
Quality assurance is an essential component of POCT and includes all the measures taken to ensure that investigations are reliable. These will include:
Quality assurance also encompasses proper training and review of overall performance. Two components of quality assurance, internal quality control and external quality assessment, can help ensure reliable results, but only if they are applied rigorously. The local hospital laboratory or accredited QA provider should be consulted for advice.
The MHRA received a report regarding a number of spurious results obtained on a blood gas analyser situated in a neonatal ward. The reported cases involved blood samples taken from fetal scalp during delivery and concerns were raised as crucial treatment decisions could be made on the basis of test results. On this occasion treatment decisions were not affected as a trained member of staff had spotted the incorrect results. An investigation by the MHRA and the manufacturer revealed that the analyser was relatively new and not all staff using it had been trained in its use. In addition some staff were not aware of the pre-analytical factors necessary to obtain a high quality good sample (e.g. not to use Vaseline on fetal scalp, not to transfer from syringe to capillary tube). The MHRA asked the manufacturer to visit the hospital, provide further training and to ensure that information was provided on pre-analytical factors. The MHRA also facilitated liaison between staff involved in this area (nurses, midwives, ward managers, biochemistry laboratory and POCT co-ordinator).
This is a means of checking that patient results are reliable before they are issued. The analysis of an appropriate control material (often supplied by the manufacturer of the POCT device) before analysing a set of specimens can provide reassurance that the system is working correctly. It is essential that the results of QC be recorded appropriately. Readers should note that some POCT devices incorporate electrical or optical checks, which form part of IQC.
Acceptance testing involves testing to check that the device or new batch of consumables is working properly and is within acceptable controls. This can provide an invaluable quality control measure before dispatch to testing sites.
EQA involves the analysis of samples with unknown values from an external source. Results are then subject to peer group assessment and statistical analysis to compare results across different sites. EQA schemes may be operated by the manufacturer or by dedicated EQA providers. The hospital laboratory may be able to recommend an appropriate EQA provider or may be able to act in this capacity itself in relation to POCT in the hospital and primary care settings.
Users of POCT are strongly recommended to participate in an EQA scheme and perform adequately as part of clinical governance.
Parallel testing of a patient sample in the laboratory can provide a QA tool. This needs to be well planned and the comparative data recorded and scrutinised. It has the advantage of using patient samples which avoids possible matrix effects of control material but it may have the disadvantage of requiring more blood, which might be collected differently to that normally used for the POCT device. POCT managers also need to take into account possible ethical considerations (including patient consent and confidentiality) when planning parallel testing.
Planned preventative maintenance should follow the manufacturer’s guidance, which is essential for the safe and effective use of POCT devices
Accreditation is assessment, by an external body, of the competence to provide a service to a recognised standard. By having this independently confirmed, POCT providers are able to give reassurance to users of their service.
Any site providing a POCT service should undergo a relevant accreditation procedure. Users and managers of POCT should contact Clinical Pathology Accreditation (UK) Ltd or UKAS directly or consult their local hospital pathology laboratory.
Excerpt from the Report of the Review of NHS Pathology Services in England Part 1: 24 (x)
‘all pathology providers, including point-of-care testing providers, are accredited in accordance with a national independent accreditation process which is responsive to changes in the nature, scope and delivery of pathology (and the wider health care system) and which requires full participation in external quality assurance schemes’
It is imperative to keep accurate records of patient results from POCT devices. These records should include: date; device type; batch numbers; result; operator identity; patient identity.
A hospital laboratory alerted the MHRA to a problem of false negative pregnancy tests. The MHRA investigation revealed the need for a recall of affected devices (of a particular batch) and retesting of certain patients. Difficulties arose for hospitals when trying to identify which patients to recall and retest as central records had not been kept of test distribution and local records did not detail who was tested, when tests were performed or batch numbers of test kits used. In some cases an advert was placed in local papers requesting people to contact their GP if they had had a pregnancy test done at the hospital. The manufacturer issued a Field Safety Notice recalling affected batches and the MHRA issued a Medical Device Alert to ensure that all users of the devices were aware of the problem.
Key points * A recall of patients would have been much more refined had records been kept. Many people were contacted unnecessarily as some trusts were not able to identify who was tested with the affected batch. * Record keeping is essential especially where you need to review patient results in the event of a device failure.
There are many areas to consider with regard to POCT and information technology, particularly the connecting of POCT devices to external data systems such as management workstations and laboratory information systems. It is recommended that POCT devices are integrated into laboratory information management systems (LIMS) and hospital information management systems (HIMS) wherever possible.
In 2006 the second edition of a standard on point of care connectivity for device manufacturers was published by the Clinical and Laboratory Standards Institute (CLSI) ‘POCT1-A2’. There are an increasing number of systems available that allow full connectivity of POCT devices e.g. urine dipsticks, glucose meters, with data management systems.
Excerpt from the Report of the Review of NHS Pathology Services in England
‘The scope of IT needs in pathology extends beyond the individual patient’s request reporting cycle…Specifically these need to cover: connectivity for point-of-care systems running within primary and secondary care and extending outside into the wider community including pharmacies and other non-NHS providers.’
‘Developments in point-of-care testing, where laboratory equipment can be located in a number of hospital and community settings (for example a GP’s surgery or a health centre), are especially dependent on good IT links with the parent laboratory as the only means of maintaining a complete record of the patient’s results.’
An adverse incident is an event that causes, or has the potential to cause, unexpected or unwanted effects involving the safety of device users including patients or other persons. The MHRA has two parallel reporting systems for device-related adverse incidents – one for manufacturers and another for users. These can be accessed via our the Yellow Card scheme website.
We strongly encourage device users to report all adverse incidents to us. It really does make a difference to the work of the MHRA in ensuring POCT devices are fit for purpose.
Additionally, manufacturers of IVDs are obliged, under the UK Medical Devices Regulations 2002 (SI 2002 No 618, as amended) [68], to report certain adverse events to the MHRA.
By reporting to us we can:
An essential part of POCT management is a system for reporting adverse incidents to the MHRA. We publish an annual document that contains details on how to report incidents.
Point of Care Testing leaflet – Top Ten Tips
Medical Device Alert MDA/2006/066 Lancing devices used in nursing homes and care homes
The regulation of the non-medical healthcare professions: a review by the Department of Health. July 2006
Acting for change: transforming pathology services through action learning. November 2008
The Department of Health’s response to the report of the second phase of the independent review of NHS pathology services in England. December 2008
An organisation with a memory. June 2000
Building a safer NHS for patients - implementing an organisation with a memory. April 2001
The White Paper Trust, assurance and safety: The regulation of health professionals. February 2007
BS EN ISO/IEC 17025:2005 General requirements for the competence of testing and calibration laboratories.
PD 6461-1:1995 General metrology Part 1: Basic and general terms (VIM).
BS EN ISO 13485:2003 Medical devices. Quality management systems. Requirements for regulatory purposes.
BS EN ISO 14971:2007 Medical devices. Application of risk management to medical devices.
BS EN ISO 22870:2006 Point-of-care testing (POCT). Requirements for quality and competence
BS ISO 15190:2003 Medical laboratories. Requirements for safety Clinical laboratory testing and in vitro diagnostic systems ISO 15189 (2003)
List of standards designated to the UK MDR 2002
Point of Care Testing. 2nd Edition Price CP, St John A, Hicks JM Eds. AACC Press 2004.
Evidence-Based Practice for Point-of-Care Testing, Published Guidelines. American Association of Clinical Chemistry & Laboratory Medicine, National Academy of Clinical Biochemistry: Laboratory Medicine Practice Guidelines. 2007
Watine, J. Guidelines are never perfect; however they need to be transparent. Clin Chim Acta 2007; 381: 184-185.
Nichols JH, Christenson RH, Clarke W et al. The National Academy of Clinical Biochemistry Laboratory Medicine Practice Guideline: evidencebased practice for point-of-care testing. Clin Chim Acta. 2007 Apr;379(12):14-28; discussion 29-30. Epub 2007 Jan 12. Executive summary
Centre for Evidence Based Purchasing (CEP)
Clinical Pathology Accreditation (UK) Ltd
United Kingdom Accreditation Service (UKAS)
In order for an IVD medical device to be placed on the UK market it must meet the requirements of the UK Medical Devices Regulations 2002 (SI 2002 No 618, as amended) (UK MDR 2002).
Part IV of the UK MDR 2002 details regulatory requirements for manufacturers of IVDs, which deal specifically with the safety, quality and performance of IVDs. In outline, it is intended to ensure that IVDs:
Part IV of the UK MDR 2002, Annex I (as modified by Part 3 of Schedule 2A to the UK MDR 2002) lists various ‘essential requirements’ with which IVDs must comply before being placed on the market or put into service. Not all the essential requirements will apply to all devices and it is for the manufacturer of the device to assess which are relevant to the particular product. In determining this, account must be taken of the intended purpose of the device.
Essential Requirement 8: Information supplied by the manufacturer. 8.1 Each device must be accompanied by the information needed to use it safely and properly, taking account of the training and knowledge of the potential users, and to identify the manufacturer. This information comprises the data on the label and in the instructions for use.
8.7 Where appropriate the instructions for use must contain the following particulars: (h) the measurement procedure to be followed with the device including as appropriate: - principle of the method, - the specific analytical performance characteristics… - the indication whether any particular training is required
The CE, CE UKNI or UKCA marking on an IVD represents the declaration by the manufacturer that the device meets all of the relevant provisions of the UK MDR 2002.
Don’t include personal or financial information like your National Insurance number or credit card details.
To help us improve GOV.UK, we’d like to know more about your visit today. We’ll send you a link to a feedback form. It will take only 2 minutes to fill in. Don’t worry we won’t send you spam or share your email address with anyone.