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United States Food and Drug Administration

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Report non-compliance. Frequency of review. Inadequate membership roster ... Administer test article only to consented subjects under control of the Investigator. ... – PowerPoint PPT presentation

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Title: United States Food and Drug Administration


1
United States Food and Drug Administration
  • FDA Conduct of Clinical Investigator Inspections
    Denver, CO
  • June 8, 2009

2
DISCLAIMER
  • The content of this presentation is my own and
    does not necessarily reflect the views and/or
    policies of the Food and Drug Administration or
    its staff. The Food and Drug Administration will
    not be bound by any of the content or information
    contained in this presentation.

3
OBJECTIVES
  • Understand the purpose of the FDA's bioresearch
    monitoring program in regards to clinical
    investigators.
  • Understand the federal regulations covering
    clinical research and clinical investigator
    obligations.
  • Understand and discuss what to expect during and
    after an FDA inspection.
  • Discuss specific problems seen during recent FDA
    inspections at clinical sites.
  • Discuss various methods that can be used to
    ensure compliance with federal regulations and
    study protocol requirements.

4
TOPICS
  • BIMO Program
  • Regulations
  • Inspection
  • Observations
  • Compliance
  • Resources

5
BIMO PROGRAM
  • FDAs Bioresearch Monitoring Program
  • A comprehensive program of on-site inspections
    and data audits designed to monitor all aspects
    of the conduct and reporting of FDA regulated
    research.

6
BIMO PROGRAM
  • Program Objectives are
  • Protect the rights and welfare of human animal
    research subjects
  • Verify the quality and integrity of bioresearch
    data

7
BIMO PROGRAM
  • Good Clinical Practices (GCP)
  • Institutional Review Boards (IRBs)
  • Clinical Investigators (CIs)
  • Sponsor-Monitors, CROs
  • Good Laboratory Practices (GLP)

8
CLINICAL INVESTIGATOR PROGRAM
  • Provides for study specific inspections and
    audits of physicians, veterinarians, and other
    investigators conducting clinical trials of new
    human and veterinary drugs, medical devices,
    biologicals, etc.

9
TYPES OF INSPECTIONS
  • Routine
  • New Drug/New Animal Drug Applications
    (NDAs/NADAs) (drugs)
  • Pre-Market Applications (PMAs) (devices)
  • Surveillance
  • Directed
  • Investigate problems that have been identified at
    the Investigational New Drug (IND) or
    Investigational Device Exemption (IDE) stage.
  • Investigate complaints that have been reported to
    the FDA
  • Compliance follow-up for previous deficiencies.

10
BIMO REGULATIONS
  • 21 CFR 314 New Drug Applications (NDA)
  • 21 CFR 312 Investigational New Drug Exemption
    (IND)
  • 21 CFR 814 Pre-Market Approval Applications
    (PMA)
  • 21 CFR 812 Investigational Device Exemption (IDE)

11
BIMO REGULATIONS
  • 21 CFR 511 New Animal Drugs for Investigational
    Use
  • 21 CFR 50 Protection of Human Subjects
  • 21 CFR 56 Institutional Review Boards
  • 21 CFR 58 Good Laboratory Practice for
    Non-Clinical Laboratory Studies

12
BIMO GUIDANCE DOCUMENTS
  • http//www.fda.gov/oc/gcp/guidance.html
  • These guidances and information sheets represent
    the Agency's current guidance on good clinical
    practice and the conduct of clinical trials. They
    do not create or confer any rights for or on any
    person and do not operate to bind FDA or the
    public. An alternative approach may be used if
    such approach satisfies the requirements of the
    applicable statute, regulations, or both.
    However, in many places throughout these
    documents, specific regulations are cited and the
    requirements of the regulations are reiterated.
    The regulations are enforceable.

13
GUIDANCES, cont.
  • FDA Information Sheet Guidances for Institutional
    Review Boards, Clinical Investigators and
    Sponsors
  • FDA/NCI MOU Regarding Common Standards-based Data
    Repository
  • Financial Relationships and Interests in Research
    Involving Human Subjects Guidance for Human
    Subject Protection
  • Guidance for Clinical Investigators, Sponsors,
    and IRBs Adverse Event Reporting to IRBs-
    Improving Human Subject Protection

14
GUIDANCES, cont.
  • Process for Handling Referrals to FDA under 21
    CFR 50.54
  • Computerized Systems Used in Clinical
    Investigations
  • Financial Disclosure by Clinical Investigators
  • Guideline for the Monitoring of Clinical
    Investigators
  • Guideline for the Study and Evaluation of Gender
    Differences in the Clinical Evaluation of Drugs
  • Use of Clinical Holds Following Clinical
    Investigator Misconduct

15
FY08 Sponsor Deficiencies
  • Monitor study
  • Secure investigator compliance
  • Analyze and report AE/UADE
  • Inform investigators, FDA, or IRB
  • Control of inv devices
  • Obtain signed Inv Agreement
  • Informed consent

16
FY08 Investigator Deficiencies
  • Follow investigational plan, investigator
    agreement, or protocol
  • Document case hx/device exposure
  • Obtain adequate informed consent
  • Control of inv. device
  • Report UADEs
  • Obtain FDA/IRB approval to conduct study

17
FY08 IRB Deficiencies
  • Inadequate initial or continuing review
  • Frequency of review
  • Expedited review
  • SR determination
  • Inadequate records
  • Minutes
  • Membership roster
  • Study documentation
  • Inadequate or failure to follow written
    procedures
  • SR determination
  • Quorum
  • Report non-compliance
  • Frequency of review
  • Inadequate membership roster

18
CLINICAL INVESTIGATOR OBLIGATIONS
19
CLINICAL INVESTIGATOR OBLIGATIONS
  • Follow the approved protocol or investigational
    plan.
  • Obtain Informed Consent prior to conducting any
    study-related procedures.
  • Maintain adequate and accurate records.

20
CLINICAL INVESTIGATOR OBLIGATIONS
  • Administer test article only to consented
    subjects under control of the Investigator.
  • Ensure Adverse Events are appropriately reported.
  • Ensure adequate IRB review.

21
Intimidated at the thought of an FDA inspection?
22
What Can You Do to Prepare?
  • Dont panic!
  • Have a plan for FDA Inspection
  • Have documentation readily available
  • Make sure copier is warmed up and tuned up
  • Have space available for record review
  • Coffee and donuts?

23
HOW TO PREPARE FOR AN FDA INSPECTION
  • When the FDA Investigator calls
  • Be sure you understand the specific study that
    will be inspected.
  • The FDA Investigator will tell you what records
    will be needed.
  • The FDA Investigator will tell you how much time
    will be needed with the PI and/or other study
    staff.

24
HOW TO PREPARE FOR AN FDA INSPECTION
  • Be sure the PI will be available.
  • Reserve a place for the FDA Investigator to work.
  • Get the name and phone number of the FDA
    Investigator.
  • Provide specific and clear directions to your
    site.

25
HOW TO PREPARE FOR AN FDA INSPECTION
  • Have ALL records related to the study available,
    including
  • SOPs
  • Regulatory records IRB approvals, protocols,
    investigator brochure, correspondence.
  • CRFs, monitoring reports.
  • Source records clinic charts, hospital records,
    x-rays, lab reports, subjects diaries, referrals.
  • Test article accountability records.

26
WHAT HAPPENS DURING AN FDA BIMO INSPECTION?
  • Upon arrival, the FDA Investigator
  • Shows FDA credentials to the most responsible
    person
  • Issues a Form FDA 482 Notice of Inspection to
    the most responsible person
  • Explains why FDA is there and what records and
    documents will be reviewed.

27
WHAT HAPPENS DURING AN FDA BIMO INSPECTION?
  • The FDA Investigator will ask some general
    questions of the study staff and the Principal
    Investigator.
  • The bulk of the inspection will involve the FDA
    Investigator reviewing records.
  • Photocopies of some records will be requested.
  • Federal regulations allow the FDA to inspect and
    copy ALL records relating to a clinical
    investigation.

28
How Long Will We Be There?
  • Depends
  • What study is covered
  • Availability of records
  • Extent of operations at facility
  • Organization of records
  • Cooperation of firm

29
WHAT HAPPENS DURING AN FDA BIMO INSPECTION?
  • Any deficiencies or observations found during the
    inspection will be discussed during the
    inspection and at the close-out.
  • The PI or Study Coordinator should be available
    to answer questions and to provide records during
    the inspection.

30
WHAT HAPPENS DURING AN FDA BIMO INSPECTION?
  • The FDA Investigator will schedule a close-out
    meeting with the most responsible person.
  • The site inspected may receive a Form FDA-483,
    Inspectional Observations.
  • Observations may also be presented orally.
  • The site may discuss all observations and issues
    with the FDA Investigator at the time of the
    close-out.

31
DISCUSSION
  • Arguing with an FDA Investigator is like
    wrestling with a pig after awhile, you realize
    the pig is enjoying it.

32
Form FDA-483 Inspectional Observations
  • Significant deviations from Regulations.
  • Observations are based only on the FDA
    Investigators review of available records and
    information.

33
COMMON BIMO OBSERVATIONS for CLINICAL
INVESTIGATORS
  • Protocol Deviations/Violations.
  • Failure to report Adverse Events.
  • Poor record-keeping.
  • Informed Consent issues.
  • IRB issues.
  • Test Article Accountability.
  • Failure of the PI to adequately supervise the
    study.

34
AFTER AN FDA BIMO INSPECTION
  • The Principal Investigator should respond to the
    483 observations in writing.
  • The study site should take corrective actions for
    any deficiencies, if possible.
  • Provide documentation of the corrective and
    preventive actions with the response.

35
AFTER AN FDA BIMO INSPECTION
  • The FDA Investigator will write an Establishment
    Inspection Report (EIR) that contains all the
    information collected during the inspection,
    including attachments and exhibits.
  • This report is forwarded to the Center that
    issued the assignment for review and final
    classification.

36
AFTER AN FDA BIMO INSPECTION
  • The assigning Center will classify the inspection
    as
  • NAI no action indicated
  • VAI voluntary action indicated
  • OAI official action indicated

37
AFTER AN FDA BIMO INSPECTION
  • The inspected site will receive a copy of the EIR
    after the inspection is classified.
  • The assigning Center will send a follow-up letter
    to the PI.

38
AFTER AN FDA BIMO INSPECTION
  • Possible consequences
  • Untitled Letters
  • Warning Letters
  • Notice of Disqualification Proceeding and
    Opportunity to Explain (NIDPOE)
  • Rejection of the study
  • Prosecution
  • Disqualification

39
HELPFUL HINTS
  • Keep files organized at all times.
  • Keep ALL correspondence sponsor, IRB, monitors,
    study subjects.
  • letters, faxes, e-mails, memos, phone contacts.
  • Keep all test article accountability records
  • Shipping receipts, enrollment logs, dispensing
    logs.

40
HELPFUL HINTS
  • Know your IRBs requirements.
  • Know the sponsors Adverse Event reporting
    requirements.
  • Know the protocol
  • Inclusion/exclusion criteria, study windows,
    study procedures.
  • Know each study staff members roles and
    responsibilities the PI is ultimately
    responsible.

41
HELPFUL HINTS
  • Have written procedures
  • SOPs, Quality Policy, training procedures, job
    descriptions.
  • Have a Corrective and Preventive Action Plan.
  • Memos to File????
  • DOCUMENT!!!

42
HELPFUL HINTS
  • Ask questions during the inspection to clarify
    misunderstandings/communication issues

43
The Rewards of Preparation
44
FOR MORE INFORMATION
  • www.fda.gov
  • www.fda.gov/cder/
  • www.fda.gov/cber/
  • www.fda.gov/cdrh/
  • www.fda.gov/fdac/

45
Questions and Answers
  • What can I tell you?
  • What can you tell me?
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