Life Sciences Transparency & Sunshine Reporting Laws
A region-by-region and country-by-country reference to the disclosure obligations that govern transfers of value from pharmaceutical, biotech, and medical-device companies to HCPs and HCOs worldwide.
Informational reference only. This document is not legal advice. Reporting windows, thresholds, and platform mechanics change frequently. Always confirm current requirements with local counsel and the relevant competent authority before filing.
Cross-Regional Trends — April 2026
Binding statutory regimes are replacing self-regulation. Italy’s Sanità Trasparente, Belgium, Portugal, Latvia, Romania and Slovakia have all moved to hybrid or full statutory models.
France captures benefits from €10. Italy uses €100 per item. The US threshold for CY2025 is USD 13.46 per instance. Saudi Arabia uses SAR 50. No single global threshold is possible.
France (Transparence Santé), Italy (Sanità Trasparente), Portugal (INFARMED), South Korea (KOPS), and the US (CMS Open Payments) all now operate government portals.
Italy’s formula of €1,000 + 20× the unreported amount, French corporate fines of €225,000, and Colombia’s sanctions up to USD 1.5M mean financial risk is no longer purely reputational.
PHARMIG central platform or company websites. Partial statutory anti-corruption provisions also apply.
Swissmedic supervises statutory integrity rules under the Therapeutic Products Act. PCC mirrors EFPIA principles. Disclosure on company websites.
IPHA Transfers of Value database — publicly accessible. HPRA supervises promotional/transparency rules.
LIF central platform and company websites. Ethics Agreement with healthcare regions supplements transparency requirements.
Statutory promotional rules apply under the Medicines Act. Self-regulatory disclosure follows EFPIA/MedTech Europe principles.
Statutory provisions require companies to keep a public list of payments to medical/healthcare associations. Additional disclosures follow EFPIA code via PIF / Lääkeyritykset. Company website publication.
Company websites and INFARMA central platform. PZPPF also applies for generics sector.
AIFP's central 'Transparency' platform is one of the most mature in Central Europe.
Hungarian statutory law imposes restrictions on gifts and hospitality to HCPs. National MedTech Europe-aligned association for devices.
TITCK has regulatory oversight. ToV data gathered and shared with Ministry of Health on request.
Supplemented by general medicines regulation under Medsafe. Individual company disclosures and Medicines New Zealand central resources.
Reporting covers sponsorships for scientific events, educational support, research support and similar benefits. Company codes of IPMG and GP Farmasi supplement the regulatory regime.
Current regime requires sponsors to provide notice of meetings and disclose sponsorships. Pending developments on wider annual aggregate Sunshine-style disclosure are ongoing.
Managing multi-country transparency reporting?
Vector Health’s end-to-end managed service handles requirements across 60+ countries — from data collection to submission.