A study guide about the DiGA fast-track process
The Fast-Track Process for Digital Health Applications (DiGA)
BfArM (Federal Institute for Drugs and Medical Devices) · Germany · Section 139e SGB V
The DiGA fast-track process enables digital health applications to be listed in a reimbursable directory within three months, making them prescribable by physicians and reimbursable by statutory health insurance for 73 million Germans, provided they demonstrate positive healthcare effects and meet comprehensive quality, safety, and data protection requirements.
What is DiGA?
Digital Health Applications (Digitale Gesundheitsanwendungen) are medical devices of Class I or IIa that achieve their main function via digital technologies and are used by patients alone or jointly with healthcare providers. DiGA can be prescribed by physicians and psychotherapists or approved directly by health insurers upon proof of indication.
The Fast-Track Pathway
Introduced by the Digital Healthcare Act (DVG) in December 2019, the fast-track process allows manufacturers to apply to the BfArM (Federal Institute for Drugs and Medical Devices) for listing in the DiGA directory. The BfArM has three months from complete application submission to assess the product and render a decision on listing.
Provisional vs. Final Listing
Manufacturers can apply for final listing (with completed studies proving positive healthcare effects) or provisional listing (with an evaluation concept for a trial phase up to 12 months, extendable to 24 months). Provisional listing allows market entry while evidence is being generated, provided plausibility of benefit is demonstrated.
Scope and Purpose
This 126-page guide serves manufacturers, service providers, and users navigating the DiGA application process. It details what qualifies as a DiGA, comprehensive requirements across safety, data protection, security, interoperability, and quality, evidence standards for positive healthcare effects, and procedural steps including fees, deadlines, and consulting options.
■ Core Concepts ■ Regulatory Framework ■ Evidence & Quality ■ Procedural Terms
Core Concepts
Regulatory Framework
Evidence & Quality Requirements
Procedural Terms
Comprehensive DiGA Requirements
Safety and Suitability for Use
DiGA must comply with Medical Device Regulation (MDR) requirements as Class I or IIa devices. Manufacturers must demonstrate conformity assessment, maintain technical documentation, implement post-market surveillance, and report serious incidents. The device must function reliably under normal conditions of use.
Data Protection (GDPR & DiGAV Section 4)
Permitted purposes: detection, monitoring, treatment, relief of disease/injury; patient documentation and therapy support. Processing must be limited to these purposes. Users must have full control over data sharing with third parties. Data processing outside Germany requires GDPR adequacy decisions or appropriate safeguards. DiGA must enable granular consent management and data portability (Article 20 GDPR).
Information Security (BSI Standards)
Required: Information Security Management System (ISMS) based on BSI-Standard 200-1. Implementation must follow security as a process approach with continuous improvement cycles. Normal protection needs require BSI-Grundschutz components. Increased protection needs (high confidentiality, integrity, or availability requirements) demand additional technical guides, penetration testing, and security audits. Must address: authentication, authorization, encryption, data transmission security, backup, and incident response.
Interoperability (Section 6 DiGAV Cascade)
DiGA must export health data in structured, machine-readable formats. Mandatory standards cascade: (1) Use Medical Information Objects (MIO) if applicable; (2) If no MIO, use approved standards/profiles from recognized standards organizations; (3) If neither, use established industry standards; (4) If none applicable, manufacturer-specific format with full documentation. Must support data exchange with electronic patient records and telematics infrastructure where relevant.
Further Quality Requirements
Robustness: reliable performance under intended conditions, error handling, data integrity protection. Consumer protection: transparent information about functions, limitations, data use; no misleading claims. Ease of use: accessible design following accessibility standards; comprehensible for target patient group. Healthcare provider support: provide professional information, integration guidance. Medical content quality: evidence-based, current, reviewed by qualified experts. Patient safety: risk management, clear warnings, age-appropriate safeguards.
Positive Healthcare Effect Evidence
Required study types: comparative studies (RCT, cohort, case-control); prospective data collection preferred; retrospective acceptable with justification. Study must be conducted in Germany or transferability proven. Entry in study registry (DRKS or WHO ICTRP) required. Publication of complete results mandatory regardless of outcome. Studies must follow internationally accepted standards (CONSORT, STROBE, SPIRIT). Diagnostic functions require separate test accuracy evidence (sensitivity, specificity) for the defined patient population.
Life Cycle Obligations
After listing: manufacturers must notify BfArM of significant changes, implement mandatory further development based on latest medical knowledge, maintain quality and security standards, respond to BfArM inquiries within set deadlines. De-listing occurs if requirements no longer met, manufacturer requests removal, reimbursement agreement not reached, or trial phase evidence insufficient.
Key Regulatory Documents & Standards
The DiGA fast-track process is governed by German and European legal frameworks and technical standards. This section lists the primary sources cited throughout the BfArM guidance document.
Primary Legislation
DVG — Digital Healthcare Act
Digitale-Versorgung-Gesetz (December 19, 2019). The foundational German law that established the DiGA fast-track process and created the legal right for physicians and psychotherapists to prescribe digital health applications, with reimbursement through statutory health insurance. Introduced Section 139e into SGB V.
Available: BGBl (Federal Law Gazette)
SGB V — Social Code Book V
Sozialgesetzbuch V. The section of German social law governing statutory health insurance. Section 139e SGB V specifically addresses digital health applications and mandates BfArM to maintain the DiGA directory and decide on all listing applications.
Implementing Regulations
DiGAV — Digital Health Applications Ordinance
Digitale Gesundheitsanwendungen-Verordnung. The ordinance specifying detailed procedures and requirements for deciding on reimbursability of digital health applications within statutory health insurance. Defines requirements across data protection (Section 4), information security (Section 5), interoperability (Section 6), robustness (Section 7), and quality standards.
Available: BGBl (Federal Law Gazette)
European Medical Device Regulation
MDR — Medical Device Regulation (EU 2017/745)
European regulation establishing comprehensive requirements for medical device safety, performance, clinical evaluation, and post-market surveillance. DiGA must comply as Class I or Class IIa medical devices. Entered into force May 26, 2021, with transitional provisions from the previous Medical Device Directive (MDD 93/42/EEC).
Data Protection & Privacy
GDPR — General Data Protection Regulation (EU 2016/679)
European regulation on data protection and privacy applicable to all personal data processing. DiGA must comply with all GDPR requirements including purpose limitation, data minimization, user consent management (Articles 6-9), data subject rights (Articles 12-22), and data portability (Article 20). Processing outside Germany requires adequacy decisions or appropriate safeguards.
Information Security Standards (BSI)
BSI-Standard 200-1: Information Security Management Systems
Bundesamt für Sicherheit in der Informationstechnik (Federal Office for Information Security). Defines the framework for establishing, implementing, operating, monitoring, and improving an ISMS. Required for all DiGA. Follows security-as-a-process approach with continuous Plan-Do-Check-Act cycles.
BSI IT-Grundschutz (IT Baseline Protection)
Methodological approach for identifying and implementing appropriate IT security measures. Required for DiGA with normal protection needs. Components include: BSI-Standard 200-1 (ISMS framework), BSI-Standard 200-2 (methodology), BSI-Standard 200-3 (risk analysis), and IT-Grundschutz Compendium (specific security requirements). Increased protection needs require additional technical guides, penetration testing, and security audits.
Interoperability Standards (Section 6 DiGAV)
MIO — Medical Information Objects
Standardized data formats developed by KBV (Kassenärztliche Bundesvereinigung) for electronic health records in Germany. First priority in the DiGAV interoperability cascade. DiGA must use MIO where applicable for their data type.
International Interoperability Standards
Second and third tiers of the DiGAV cascade when MIO not applicable: HL7 FHIR (Fast Healthcare Interoperability Resources) for structured health data exchange; HL7 v2/v3 for messaging; DICOM (Digital Imaging and Communications in Medicine) for medical imaging; IHE (Integrating the Healthcare Enterprise) profiles for workflow integration. Manufacturer-specific formats permitted only as last resort with full documentation.
Evidence & Research Standards
Study Registry Requirements
All DiGA evidence studies must be registered in DRKS (Deutsches Register Klinischer Studien / German Clinical Trials Register) or WHO ICTRP (International Clinical Trials Registry Platform). Registration required before study commencement. Complete results must be published within 12 months of study completion regardless of outcome.
Reporting Standards
CONSORT (Consolidated Standards of Reporting Trials) for randomized controlled trials; STROBE (Strengthening the Reporting of Observational Studies in Epidemiology) for cohort and case-control studies; SPIRIT (Standard Protocol Items: Recommendations for Interventional Trials) for study protocols. DiGA evidence must follow internationally accepted standards for study design, conduct, and reporting.
Administering Authority
BfArM — Federal Institute for Drugs and Medical Devices
Bundesinstitut für Arzneimittel und Medizinprodukte. Independent federal superior authority within the portfolio of the Federal Ministry of Health. Manages the DiGA directory, decides on all listing applications within the three-month fast-track timeline, and provides guidance to manufacturers. Issues this 126-page guidance document and maintains ongoing consultation services for applicants.
Web: www.bfarm.de
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Key Takeaways
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Fast-Track Creates Market Access Window
The three-month assessment timeline and provisional listing pathway fundamentally change digital health market entry in Germany. Unlike traditional medical device pathways requiring complete evidence before launch, manufacturers can achieve market access with an evaluation concept, generating real-world evidence while commercially available. This bridges the innovation valley of death but requires disciplined study execution during the 12-24 month trial phase.
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Security and Privacy Requirements Are Non-Negotiable
The comprehensive BSI-Standard 200-1 ISMS requirement, BSI-Grundschutz implementation, GDPR compliance, and purpose limitation rules create significant technical barriers. DiGA cannot monetize health data, cannot share data without explicit consent, and must implement robust encryption, access controls, and incident response. Increased protection needs trigger penetration testing and security audits. This protects 73 million insured but demands substantial security investment from manufacturers.
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Evidence Standards Mirror Clinical Research
Positive healthcare effect evidence requires comparative studies (preferably RCT), prospective data collection, study registry entry, and publication of complete results including negative findings. Studies must be conducted in Germany or demonstrate transferability. Diagnostic functions require separate test accuracy validation. This elevates digital health evidence standards to match pharmaceuticals, legitimizing the field but requiring manufacturers to build clinical research capabilities or partnerships.
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Interoperability Is Mandated, Not Optional
The Section 6 DiGAV cascade requires data export in standardized formats following a strict hierarchy: Medical Information Objects (MIO) when applicable, then recognized standards (FHIR, HL7), then industry standards, and only manufacturer-specific formats as last resort with full documentation. Integration with electronic patient records and telematics infrastructure is required where relevant. This prevents data lock-in and enables care coordination but demands technical implementation beyond standalone app development.
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Post-Listing Obligations Create Ongoing Compliance Burden
Listing is not approval and forget. Manufacturers must notify significant changes, implement mandatory updates based on latest medical knowledge, maintain quality and security standards, respond to BfArM inquiries, and face de-listing if requirements lapse. The life cycle approach treats DiGA as living products requiring continuous improvement, creating sustained regulatory overhead but ensuring patient safety and efficacy maintenance in a rapidly evolving digital landscape.
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German Model Influences Global Digital Health Regulation
As the world’s first national reimbursement pathway for digital therapeutics at scale, the DiGA framework provides a tested model for evidence requirements, security standards, and market access mechanisms. The balance between innovation enablement (provisional listing) and evidence rigor (mandatory studies, publication requirements) offers a middle path between permissive app store models and restrictive pharmaceutical-style approval. Other countries and health systems studying DiGA outcomes to inform their own digital health policies makes this guide relevant beyond Germany’s borders.
