EATRIS joins 32 European health organisations to define EHDS opt-out clause

Published 6 June 2023

On 6 June, EATRIS joined 32 health organisations to share views on specific recommendations for a potential opt-out mechanism in the future EHDS.

These organisations and initiatives have joined forces because they all share the view that health data are precious and renewable resources that can power decision-making for clinical care, deliver life-saving innovations, and strengthen health systems in the 21st century.

Discussions in the EU policy-making process now include proposals for an opt-out mechanism for citizens to withdraw their data from secondary use purposes (that is, from research, regulatory purposes and evidence-based policy making). The original European Commission proposal did not include this mechanism.

The group of stakeholders supports the approach taken in the Commission’s original legislative proposal from May 2022 as it strikes a sensible balance between the protection of personal data while enabling the use of data for research and innovation to create tangible benefits for patients and citizens. The stakeholders raised concerns about the real risk that data bias will form part of the EHDS from its inception and thus undermine its principal value for secondary use research purposes if an opt-out or opt-in mechanism is approved, and call for an impact assessment that will inform the implementation of this policy option.

If the proposals for opt-out are approved in the final EHDS legislation, the group makes six recommendations. They believe the opt-out mechanism should:

  • be applicable across all Health Data Access Bodies in EU Member States, limiting the scope of national derogation and ensuring that the technical specifications are aligned.
  • consider the impact on health and care professionals and other data holders.
  • be capable of implementation across the EU, without limiting lawful and ethical data sharing for secondary purposes.
  • be routinely monitored as part of a regularly updated HealthData@EU data governance framework.
  • have a limited, but well-defined, consistent, and transparent scope.
  • have necessary investment, infrastructure, and budget to ensure sufficient transparency so that citizens are well informed of the opt-out.

Finally, the current debate on enabling the secondary use of health data in Europe highlights the need to achieve stakeholder alignment where possible on the implementation journey ahead for the EHDS. It also speaks to the need for implementation decisions to be highly informed by those with experience and responsibilities for on-the-ground implementation. This reiterates a need for strong, balanced, and inclusive stakeholder representation within the governance model of the EHDS such as its Board of Directors.

Read the full joint statement here.