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January 14, 2026
The Saudi Food & Drug Authority (SFDA) has recently released MDS-G27, a new regulatory guidance for Digital Health Products, marking a significant shift in how digital health solutions are classified, assessed, and regulated in the Kingdom of Saudi Arabia.
This guidance is a crucial development for digital health innovators, software developers, medical device manufacturers, and healthcare technology companies looking to enter or expand in the Saudi market.
MDS-G27 provides long-awaited clarity on the regulatory treatment of digital health technologies—ranging from mobile health (mHealth) applications to AI-driven clinical decision support systems. With Saudi Arabia rapidly advancing its healthcare digitalization under Vision 2030, this guidance ensures innovation progresses alongside patient safety and regulatory compliance.
The guidance clearly defines regulatory boundaries between:
SFDA-regulated medical devices, and
Non-regulated wellness or lifestyle applications
This helps companies determine early whether their product falls under SFDA oversight, reducing uncertainty and regulatory risk.
MDS-G27 introduces a risk-based classification approach for digital health technologies, covering:
Mobile health (mHealth) apps
Software as a Medical Device (SaMD)
AI/ML-enabled clinical tools
Higher-risk products face stricter regulatory controls, while lower-risk solutions benefit from proportionate oversight.
The guidance sets out clear criteria based on:
Intended medical purpose
Interaction with patient health data
Clinical decision-making impact
This enables developers to accurately assess whether their product requires SFDA registration, listing, or approval.
SFDA ensures that compliance requirements align with patient safety and product performance, while still encouraging innovation in digital health and AI technologies.
Saudi Arabia is actively bridging innovation with regulatory clarity. MDS-G27 empowers developers and manufacturers to bring digital health solutions to market with confidence and transparency, avoiding regulatory ambiguity.
Importantly, even software-only products may now fall under regulatory scrutiny if they:
Interact with health or patient data
Influence diagnosis, monitoring, or treatment decisions
This represents a major shift for tech-driven healthcare companies previously operating outside traditional medical device regulations.
Navigating SFDA’s evolving digital health regulations requires expert regulatory strategy and early planning. At RIAR Consulting, we help companies:
Determine product classification under MDS-G27
Develop compliant digital health regulatory strategies
Manage SFDA registration and submissions
Align innovation roadmaps with Saudi regulatory expectations
SFDA’s MDS-G27 is more than a guidance—it is a strategic framework shaping the future of digital health regulation in Saudi Arabia. Companies that understand and adapt early will gain a strong competitive advantage in one of the Middle East’s fastest-growing healthcare markets.
Need a quick breakdown of how MDS-G27 impacts your digital health product strategy?
RIAR Consulting is here to guide you—reach out to our regulatory experts today
Riar Consulting supports pharmaceutical, medical device, cosmetic, and emerging healthcare companies with structured regulatory strategies, submission management, and market entry support across major global regulatory authorities.
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