Title: Protecting Human Subjects: What everyone needs to know
1Protecting Human SubjectsWhat everyone needs to
know
- Office for Human Research Studies (OHRS)
- December 2009
- (617) 632-3029 ? ohrs_at_dfci.harvard.edu
2OHRS
- Michele Russell-Einhorn, JD
- Senior Director, Office for Human Research
Studies - Amanda Hammond, JD
- Deputy Director, Office for Human Research Studies
3Goals of Training
- Briefly review scientific review process
- Review regulatory issues involved in the
protection of human subjects in research to
ensure adequate substantive review, consistency
and thoroughness of IRB review and approval and
continuing oversight of research involving human
subjects.
4General Overview
- The DF/HCC scientific review committees and the
DFCI IRBs review all adult and pediatric
cancer-related research on behalf of BIDMC BWH
CHB DFCI and MGH.
5National Cancer Center Grant
- DF/HCC Scientific Review Committees-four
committees and an ongoing expedited review
process that fall under the protocol review and
monitoring system process for oncology research
set out in the NCI Cancer Center Support Grant. - The Cancer Center Grant requires that we keep the
scientific review and IRB review functions
separate and distinct.
6National Cancer Institute
- Cancer Center Support Guidelines require
- 1. Scientific review for merit and progress and
accrual - 2. No guidelines for determining which post
approval events such as amendments deviations
violations or adverse events require re-review
by a scientific review committee.
7Scientific Review vs. IRB Review
- There are differences between scientific review
and IRB review, e.g., - -conditional approvals
- -annual progress review
8Institutional Review Boards
- DFCI IRBs operate under a Federal Wide Assurance
that we have with the U.S. Department of Health
and Human Services. - DFCI IRBs operate under Federal regulations that
specifically dictate the operations and
substantive review of the IRBs. - DFCI IRBs, on behalf of the DF/HCC, currently
have oversight of over 1750 open research
protocols involving human subjects.
9DFCI IRBs
- Information Relating to the Operation of IRBs
10DFCI IRBs
- IRBs A and B
- meet on an alternating basis every Tuesday from
12-2 pm. - expertise to review any matter, but focus on new
protocols and amendments.
11DFCI IRBs
- IRBs C and F
- meet on an alternating basis every Thursday
morning from 8-10 am. - expertise to review any matter but focus on
continuing reviews amendments adverse events
and other events.
12DFCI IRBs
- IRB D
- meets twice monthly on Mondays from 10-12 pm
- was known as the social and behavioral IRB or
the minimal risk IRB, in fact - reviews any research that is not technically
clinical intervention research as well as
research that is greater than minimal risk. - additional bone marrow aspirates
- additional blood draws
- tissue repository research etc.
13DFCI IRBs
- IRB E
- rapid response IRB
- small number of members and can respond quickly
to an emergent situation.
14DFCI IRBs
- IRB G
- Pediatric Panel
- Meets 1st and 3rd Monday of each month
- Expertise to review any pediatric matter
15Institutions in the News
16(No Transcript)
17(No Transcript)
18JHU-FDA Warning Letter to PIMarch 31, 2003
- Our records indicate that you are aware of your
sponsor obligationswe note that on September 15,
1997, you submitted an IND application to the
FDA(FDA) notified you in writing on October 24,
1997, that you were prohibited from initiating
any of the submitted protocols due to significant
safety concerns and other protocol deficiencies
including inadequate chemistry, purity, and
pre-clinical data inadequate and confusing study
procedures and protocols, lack of inclusion
criteria, discontinuation criteria, and defined
safety parameters and lack of methodology for
adverse event monitoring, treatment, and
follow-up of subjects.
19Carle Foundation Hospital
20University of Pittsburgh
21Government Shutdowns
- Massachusetts Eye and Ear Infirmary
- UCLA
- VA Health Sys. Greater Los Angeles
- Rush Presbyterian St Lukes Med Ctr.
- University of Illinois Chicago
- Duke University Med Ctr.
- Univ. Texas Medical Branch Galveston
- University of Oklahoma Tulsa
- Johns Hopkins University
22Still happens Weill Medical College, May 2004
- OHRP Findings
- OHRPs review of IRB documents reveals
evidence that the IRB does not always make the
required findings when reviewing research
involving children, and when the findings are
made, they are sometimes inappropriate (e.g. for
protocol 0204-165, which involved a
dose-finding, safety study of a drug in pediatric
hypertensive patients, the IRB found that the
protocol was approvable under HHS regulations at
45CFR 46.404). Based on OHRPs discussions with
the IRB chairperson and IRB members, OHRP is
concerned that the IRB lacks a detailed
understanding of HHS regulations at 45 CFR part
46, subpart D, which require specific IRB
determinations related to the risks and potential
benefits when children are involved as subjects
of research.
23Weill Medical College, May 2004
- OHRP Findings
- (a) For protocol 0296-223, subjects were
enrolled outside the protocol age range - prior to IRB review and approval of the amended
protocol. - (b) Protocol 0800-354 stated that subjects would
be randomized between - metformin and placebo. During our interview, the
investigator stated that, among - other things, the protocol was changed to a
single arm study without prior IRB - review and approval.
- (c) For protocol 0801-842, between August 12,
2002 and July 22, 2003, the - protocol was changed from a double-blind study to
a single blind study. OHRP - could find no evidence of IRB review and approval
of this protocol modification. - Further, the continuing review form reviewed by
the IRB on July 22, 2003 stated - no changes since last continuing review.
24Weill Medical College, May 2004
- OHRP Action
- In view of the above determinations and in order
to ensure adequate protections for human
subjects, OHRP hereby restricts the WMC assurance
(FWA 93), pending satisfactory completion of the
required corrective actions described below.
25Emory
- Emory halts enrollment in cancer clinical trials
- Action at Winship Cancer Institute follows
critical audit of procedures - By Craig Schneider
- The Atlanta Journal-Constitution
- Tuesday, June 16, 2009
- Emory Universitys Winship Cancer Institute has
stopped accepting new patients into clinical
trials after a critical audit, even as it seeks
to enhance its standing in the fight against
cancer. - The center voluntarily halted accepting new
patients May 15 following a critical audit of
record-keeping for research purposes. The audit
was performed by the Eastern Cooperative Oncology
Group, a cancer research group that works with
Winship. - The audit found deficiencies in the research
files regarding patients, including missing test
results and CAT scans, unreported vital signs
such as blood pressure and heart rate, and
unreported logs on how often a patient took his
or her drugs.
26Historical Overview
- The development of protections for human subjects
in research.
27Historical OverviewInternational
- Nazi Doctor Trials
- Nuremberg Code 1947
- Informed Consent
- Declaration of Helsinki
- World Medical Association, Ethical Principles for
Medical Research Involving Human Subjects - 1964 (revised 2000)
28Historical Overview
- Public Health Service (PHS) Policy
- Prior Review of Research by Institutional
Associates (PPO 129, February 8, 1966) - United States Public Health Service
- Syphilis Study at Tuskegee (1932 -1972)
29Historical OverviewUnited States -- 1974
- Congressional Hearings
- Senator Walter Mondale
- Senator Edward Kennedy
- HHS Regulations
- National Research Act
- National Commission for the Protection of
- Human Subjects of Biomedical and Behavioral
Research, July 12, 1974
30Historical OverviewThe Belmont Report April
18, 1979
31Federal Oversight of Human Subject Research
- Federal Policy for the Protection of Human
Subjects (Common Rule) - Adopted 1991
- HHS Regulations
- Revised 1981, 1991
- FDA Regulations
- Revised 1981, 1991
- No Mandatory Protections if not covered by above
32DHHS Federalwide Assurance (FWA)
- FWA requires compliance with 45 CFR 46 for
Federally Funded/Supported Research - All FDA regulated research must comply with
applicable FDA regulations even in the absence of
Federal Funding or Support
33Federal Policy (Common Rule) for the Protection
of Human Subjects
- 18 Federal Agencies Adopted DHHS Subpart A
- Some Agencies Required Additional Protections
- VA requires compensation for research-related
injuries - DoD additional level of review (e.g., HSRRB) for
certain types of research - Some Agencies Never Adopted the Federal Policy
- Department of Labor Miners and Coal Dust
- Appalachian Regional Commission Telemedicine
34DHHS Regulations45 CFR Part 46
- Subpart A ? Core Protections ? Common Rule
- IRB Review
- Informed Consent
- Subpart B ? Additional Protections
- Pregnant Women, Fetuses, and Neonates
- Subpart C ? Additional Protections
- Prisoners
- Subpart D ? Additional Protections
- Children
35Subpart A Core Human Subject ProtectionsFederal
Policy (Common Rule), DHHS, FDA
- IRB Review (DHHS 45 CFR Part 46 and FDA 21 CFR
Part 56) - Initial Review
- Prospective Review of All Changes
- Reporting/Review of Unanticipated Problems
- Reporting/Review of Adverse Events
- Continuing Review at Least Annually
- Informed Consent (DHHS 45 CFR Part 46 and FDA 21
CFR Part 50) - Eight Required Elements
- Written Documentation
- Language Understandable to Subjects
- No Coercion or Undue Influence
- No Waiver of Subjects Rights
36Roles and ResponsibilitiesInstitutional
Responsibility
- Institutional Commitment and Infrastructure
- Authorized Institutional Official
- IRB Chair, IRB Members, IRB Staff
- Data Safety Monitoring Committees/Boards (DSMBs)
- Other Institutional Committees (Audit)
- Research Investigators and Co-Investigators
- Everyone Else Involved in the Research Enterprise
(sponsors)
37Roles and ResponsibilitiesInstitutional Review
Board (IRB)
- Review and Approve Proposed Research
- Risks Minimized through Sound Research Design
- Risks Reasonable Relative to Benefits
- Subject Selection Equitable
- Informed Consent Obtained
- Informed Consent Documented
- Privacy and Confidentiality Protections Adequate
- Safety Monitoring is Adequate
- Protections for Vulnerable Subjects are Adequate
- Exercise Continuing Oversight of Research
38Roles and ResponsibilitiesInstitutional Review
Board (IRB)
- IRBs are also required to review HHS grants to
ensure that the protocol submitted to the IRB is
consistent with the grant application
39Risks Minimized Through Sound Research Design
- Family of Subject who died in Gene Therapy Trial
sponsored by Targeted Genetics is suing the
company, the IRB and the principal investigator. - The basis of the lawsuit is not so much
objections to the informed consent document as
the contention that someone with a mild case of
rheumatoid arthritis should not be enrolled in a
gene therapy trial. - The science of the protocol could not justify
enrollment of this type of subject in the
research.
40Roles and ResponsibilitiesPrincipal
Investigators
- Accept responsibility for all aspects of the
research - Ensure adequate training for entire research team
- Ensure adequate supervision of entire research
team - Know and ensure compliance with
- All regulatory requirements
- All IRB requirements
- All protocol requirements
- Ensure adherence to enrollment criteria
- Monitor and report unanticipated problems and
adverse events to sponsor and IRB
41Roles and ResponsibilitiesPrincipal
Investigators
- University of Pittsburgh, FDA warning letter,
September 15, 2009-John M Kirkwood - 1. failed to conduct procedures required by
protocol - 2. changed protocol without going through the IRB
and FDA - 3. failed to follow-up and collect adverse event
information - 4. failed to report serious adverse events
experienced by three subjects - 5. failed to prepare and maintain case histories
- 6. failed to monitor the progress of the clinical
investigation
42Applying the Regulations to Research Involving
Human Subjects
43Definition of ResearchHHS, Federal Policy
(Common Rule)
- Research means
- A systematic investigation
- Designed to develop or contribute to
- Generalizable knowledge
- Includes
- Research development
- Testing
- Evaluation
- Pilot Studies
44Definition of Research
- Research means
- A systematic investigation designed to develop or
contribute to generalizable knowledge - What does Systematic mean?
- Carried out according to a plan
- Permitting logical conclusions to be drawn
- What does Generalizable mean?
- Beyond the immediate situation
- Beyond the institution
45Manhattan Eye, Ear and Throat Hospital Incident
46Definition of Human Subject
- Human Subject means
- a living individual
- about whom an investigatorconducting research
obtains - data through intervention or interaction with the
individual, or - identifiable private information
-
- -- 45 CFR 46.102(f)
47VCU Twin Study
48Definition of Human Subject
- Private Information means
- Information about behavior in a context in which
an individual can reasonably expect that no
observation or recording is taking place - Information, provided for specific purposes, that
the individual can reasonably expect will not be
made public (e.g., a medical record) -
- -- 45 CFR 46.102(f)
49IRB Requirements and Procedures
50Institutional Review Board (IRB)Mission,
Duties, Authorities
- Mission ? To protect the rights and welfare of
individuals participating in research involving
human subjects - Duties ? To approve, disapprove, modify, suspend
research as necessary to ensure protections for
human subjects in research - Authority ? To exercise final authority within
the institution for ensuring adequate protections
for subjects. Officials of the institution may
not approve research if it has not been approved
by an IRB. - Institutional Authority Beyond Regulations ?
Delegated to IRB - Ethical Issues on behalf of institution
- Sanctioning Investigators for noncompliance
- Use of tainted data
51IRB Review and Approval
- Routine oversight mechanisms
- Initial Review
- Continuing Review
- Review of Adverse Events
- Review of Unanticipated Problems
- Special oversight mechanisms
- Data Safety Monitoring Boards (DSMBs)
- Consent Monitors
- Random Audits of Research
- Continuing Education
52IRB Approval (Initial or Continuing) Includes
Findings That
- Risks are minimized through sound research design
- Risks are reasonable relative to anticipated
benefits - Selection of subjects is equitable
- Informed consent will be obtained
- Informed consent will be documented
- Privacy and Confidentiality provisions are
adequate - Data safety monitoring is adequate
- Appropriate safeguards are included for
vulnerable subjects
53IRB Oversight Includes...
- Continued ethical evaluation of the research
- Monitoring of the research
- Monitoring of the informed consent process
- Analysis (as received) of new information,
adverse events, and unanticipated problems
involving risks to subjects and others - Formal Continuing Review at intervals appropriate
to the degree of risk and no less than annually
54Types of IRB Review
- Determination whether activity is Human Subject
Research - Verification of Exemption
- Expedited Review
- Convened (Full Board) Review
- NOTE Initial and Continuing Review require
votes of the convened IRB, meeting all quorum
requirements, unless specific conditions for use
of expedited review are satisfied
55Institutional Review Board (IRB)Composition
- Minimum of 5 members
- Diverse in gender and racial background
- Sufficiently qualified in experience and
expertise - (e.g., pediatric expertise required to review
research involving children) - One scientific member
- Non-scientific member
- One member not otherwise affiliated with the
institution - Expertise in vulnerable populations for regular
review of such research
56Convened (Full Board) Review
- Majority of Total Membership Must Be Present
- Non-Scientist Member Must Be Present (not lay
member) - Approval Requires a Majority of Those Members
Present - Vote Must Be Documented
- Same Requirements for Initial and Continuing
Review - Important that documentation demonstrate that the
IRB is making the appropriate regulatory
determinations
57IRB Meetings and Record Keeping
- All members receive complete set of materials
- Adequate time to review materials
- Minutes of meetings must be comprehensive
- Attendance and votes should be recorded
- OHRP permits teleconferencing if each
participating member (i) has received all
pertinent material prior to the meeting and (ii)
can actively and equally participate in the
discussion of all protocols
58Types of IRB determinations
- Approval
- Conditional Approval
- Deferral
- Disapproval
59Conditional ApprovalFrom OHRP Common Findings
- Contingent Approval of Research with Substantive
Changes and no Additional Review by the Convened
IRB. - OHRP finds that the IRB frequently approves
research contingent upon substantive
modifications or clarifications without requiring
additional review by the convened IRB.
60Expedited ReviewMinor Changes to Approved
Research
- MINOR changes in previously approved research
- During the established approval period
- Conducted by Chair or IRB member designated by
Chair - Must be reported to full IRB
- No disapprovals, e.g., a decision to disapprove a
requested deviation must be sent to the full
board. - -- 45 CFR 46.110
61Expedited Review ListInitial or Continuing
Review
- Conducted by Chair or IRB member designated by
Chair - Only minimal risk research
- Must fit into a category on November 1998 list
- All other provisions and requirements apply
- Can only approve research -- Cannot disapprove
- Must be reported to full IRB
- -- 45 CFR 46.110 21 CFR 56.110
62Expedited Review
- Minimal Risk Research in the Following
Categories - 1) Clinical studies of drugs and medical devices
where an IND (drugs) or IDE (devices) is not
required. - 2) Collection of blood samples by finger stick,
heel stick, ear stick, or venipuncture - a) from healthy, non-pregnant adults weighing at
least 100 lbs 550 ml in 8-wk period, limited to
2 collections per week - b) from other adults and children, not more than
50 ml or 3 ml per kg in 8-wk period, limited to 2
collections per week.
63Expedited Review
- Minimal Risk Research in the Following
Categories - 3) Prospective collection of biological specimens
by noninvasive means - 4) Collection of data through noninvasive
procedures (not involving general anesthesia or
sedation) employed in clinical practice,
excluding procedures involving x-rays or
microwaves. Where medical devices are employed,
they must be cleared/ approved for marketing.
(Studies intended to evaluate the safety and
effectiveness of the medical device are no
generally eligible for expedited review,
including studies of cleared medical devices for
new indications.)
64Expedited Review
- Minimal Risk Research in the Following
Categories - 5) Research involving materials (data, documents,
records, or specimens) that - have been collected
- will be collected for non-research purposes
- 6) Collection of data from voice, video, digital,
or image recordings made for research purposes.
65Expedited Review
- Minimal Risk Research in the Following
Categories - 7) Research on individual or group behavior or
characteristics -- cognition, motivation,
identity, language, communication, cultural
beliefs/practices, social behavior survey,
interview, oral history, focus group, program
evaluation, human factor, quality assurance
methodologies.
66Expedited Review
- Minimal Risk Research in the Following
Categories - 8) Continuing review of research previously
approved by the convened IRB where - a) the research is permanently closed to new
enrollments, all subjects have completed all
research-related interventions, and research
remains active only for long-term follow-up of
subjects or - b) no subjects have been enrolled and no
additional risks have been identified or - c) remaining research activities are limited to
data analysis.
67Expedited Review
- Minimal Risk Research in the Following
Categories - 9) Continuing review of research where the IRB
has determined and documented at a convened
meeting that the research involves no greater
than minimal risk, and no additional risks have
been identified. - Critical Catchall Provision Note documentation
requirement
68Expedited ReviewCompliance Problems
- Inappropriate use of expedited review
- greater than minimal risk
- no appropriate category
- failure to document category and determination
- Greater than minor changes to approved research
- Inappropriate use for Continuing Review
69Exempt Research
70Six Exemptions45 CFR 46.101(b)
- 1) Research conducted in
- Established or commonly accepted educational
settings - Involving normal educational practices
- Instructional strategy comparisons
71Six Exemptions45 CFR 46.101(b)
- 2) Research involving the use of
- Educational tests (cognitive, diagnostic,
aptitude, achievement), survey procedures,
interview procedures, or observation of public
behavior - UNLESS
- information is recorded in an (directly or
indirectly) identifiable manner (NOTE Coded
identifiable) - AND
- disclosure would place subject at risk of
criminal or civil liability or be damaging to
financial standing, employability, or reputation
72Six Exemptions45 CFR 46.101(b)
- Special Consideration involving Children
- Survey and Interview Research Involving Children
IS NOT Exempt - Passive Observation of Public Behavior Involving
Children IS Exempt - Participant Observation of Public Behavior
Involving Children IS NOT Exempt - IRB Needs Copy of All Surveys and Interview
Scripts (unless standard test known to IRB)
73Six Exemptions45 CFR 46.101(b)
- 3) Research involving the use of
- Educational tests (cognitive, diagnostic,
aptitude, achievement), survey procedures,
interview procedures, or observation of public
behavior - WHERE
- subjects are elected or appointed public
officials or candidates for public office - or
- Federal statutes require confidentiality without
exception
74Six Exemptions45 CFR 46.101(b)
- 4) Research involving the collection or study of
- existing data, documents, records, specimens, if
- the sources are publicly available
- or
- the information is recorded by the investigator
in such a manner that subjects cannot be
identified, directly or through identifiers
linked to the subjects. -
- NOTE Even brief recording of identifiers or
codes disqualifies the exemption
75Definition of Existing
- Existing means
- All data has been collected (i.e., on the shelf)
prior to the research - For a purpose other than the proposed research
- Includes data (or specimens) collected in
research and non research activities.
76Six Exemptions45 CFR 46.101(b)
- 5) Research and demonstration programs designed
to study, evaluate, or examine (Federal) Public
Benefit or Service Programs - 6) Taste and food quality evaluation and consumer
acceptance studies involving - wholesome foods without additives
- additives, chemical, contaminants below safe
levels determined by FDA, EPA, USDA
77Informed Consent
78Eight Required Elements45 CFR 46.116(a)
- Statement that study is research and information
on purposes/duration/procedures/experimental
procedures - Reasonably foreseeable risks or discomforts
- Reasonably expected benefits
- Alternative procedures (including availability
off-protocol where applicable) - How confidentiality will be maintained
- Information on compensation for injuries (unless
minimal risk) - Contact Persons for info on research, injury,
subjects rights - Voluntary participation, no penalty or loss of
benefits for refusal or withdrawal
79Six Additional Elements
- Statement that there may be risks which are
unforeseeable - Under what circumstances investigator could
terminate subjects participation - Additional costs to subject
- Consequences of subjects withdrawal from research
- Statement that will be told of new findings
- Approximate number of subjects in study
80Informed ConsentSpecial Issues
- There is no such thing as passive consent
- consent is required unless formally waived
- documentation is required unless formally waived
- There is no such thing as a secondary subject
- if an investigator obtains identifiable private
information about a living individual, the
individual is a human subject, regardless of the
source
81Waiver of Informed Consent(Not Permitted Under
FDA Regulations)
- IRB must find and document that 4 criteria met
- Minimal risk research
- Waiver or alteration will not adversely affect
the rights and welfare of the subjects - Research could not practicably be carried out
without the waiver or alteration - Subjects will be provided with additional
pertinent information
82Documentation of Informed Consent
- Written consent document
- In language understandable to the subject or the
subjects Legally Authorized Representative (LAR) - Verification of translated consent document
- Signed by subject or subjects LAR
- Copy SHALL be given to subject
- Opportunity to read before signing
83Documentation of Informed Consent
- Short form written consent document requires
- oral presentation
- witness to oral presentation
- an IRB approved written summary
- given to subject
- signed by witness
- signed by person obtaining consent
- short form documenting oral presentation
- signed by subject or LAR
- signed by witness
84Waiver of Documentation of Informed Consent (Not
Permitted by FDA Regs)
- The Signed Consent Document provides the only
link to the subjects identity and principal risk
is breach of confidentiality - The research presents no greater than minimal
risk of harm to subjects and involves no
procedures requiring consent in a non-research
context - IRB may require a subject information sheet
85After IRB Approval
86Adverse Events v. UPIRSO
- FDA Regulatory Terms
- Adverse Events
- Unanticipated Problems Involving Risks to
Subjects and Others - Reportable events
- HHS Regulatory Language
- Unanticipated Problems Involving Risks to
Subjects and Others - Reportable Events
87Risks to Subjects
- Adverse events vs. unanticipated problems
- A risk or problem is unanticipated if it is not
in the protocol or consent document. - Risks discussed in the protocol should be
included in the consent document - Questions raised as a result of an unanticipated
risk - Does the informed consent form need to be
amended? - Do previously enrolled subjects need to be
re-consented? - Does a report need to be made to any government
office?
88Risks to Subjects
- If a risk is listed as rare in a protocol, and it
becomes frequent, then it may be an unanticipated
problem that has to be reported to OHRP.
89Protocol Deviations
- Very detailed protocol
- Missing a dose
- Intervention on the wrong day
- All become protocol deviations
- Write protocols more broadly
- Range for dosing
- Ranging for timing
- Less likely that differences in regimen will
become a protocol deviation
90Protocol Deviations
- University of Oklahoma July 2000 suspension of
research - Testing of a vaccine on subjects with melanoma
- Three year trial
- Numerous violations of study protocol
- shipping vaccine to subjects for self-injection
- inadequate staffing
- inadequate supervision of sponsors manufacturing
facilities
91Protocol DeviationsUniv. of Oklahoma
- June 29, 2000 letter from OHRP to Univ. OK
- OHRP finds that the principal investigator
implemented substantive changes to the research
project without IRB approval. The changes made
without IRB approval included, but are not
limited to the following - (a) The investigator deviated from the
IRB-approved inclusion and exclusion criteria. In
specific, 11 of the first 18 subjects enrolled in
the protocol did not satisfy all IRB-approved
inclusion/exclusion criteria. Of note, the IRB
Chair unilaterally approved these deviations
retroactively
92Protocol DeviationsUniv. of Oklahoma (cont.)
- (b) Sample size was increased above the total
subject number approved by the IRB (15 for phase
I and 25 for phase II) by November 17, 1999,
total subject enrollment had increased to more
than 90. - (c) The study vaccine was shipped to some
subjects homes for self-administration by the
subjects. Of note, the IRB-approved protocol
prior to November 19, 1999 stated the following - the Nurse Coordinator will give all injections.
She will record any transient erythematous
reactions and refer patients with any other side
effects to Dr. McGee Patients will be required
to remain in the physicians office for 30
minutes afterward.
93Protocol DeviationsUniv. of Oklahoma (cont.)
- (d) Some subjects were allowed to self-monitor
for adverse local reactions following vaccine
administration. - (e) The investigator added several remote study
sites and co-investigators. - (f) Non-physicians were used to perform some
protocol-stipulated physical exams that were to
have been performed by a physician under the
IRB-approved protocol.
94FDA Issues
95FDA Regulations
- Informed Consent - 21 CFR Part 50
- IRB Review - 21 CFR Part 56
- Investigational Drugs - 21 CFR Part 312
- Marketing Approval - 21 CFR Part 314
- Biologics - 21 CFR Part 600
- Biologics Licensing 21 CFR Part 601
- Investigational Devices - 21 CFR Part 812
- Pre-Market Approval 21 CFR Part 814
- Financial Disclosure 21 CFR Part 54
- Electronic Records 21 CFR Part 11
96FDA Regulations
- Informed Consent -- 21 CFR 50
- Eight Required Elements
- Written Documentation
- Language Understandable to Subjects
- No Coercion or Undue Influence
- No Waiver of Subjects Rights
- IRB Review -- 21 CFR 56
- Initial Review
- Prospective Review of All Changes
- Reporting/Review of Unanticipated Problems
- Reporting/Review of Adverse Events
- Continuing Review at Least Annually
97FDA Regulations
- Drugs and Biologics
- Investigational New Drug Application (IND)
- 21 CFR Part 312
- Devices
- Investigational Device Exemption (IDE)
- 21 CFR Part 812
98FDA RegulationsWhen is an IND Needed?
- Any use in which a marketed or un-marketed drug
is administered or dispensed to, or used
involving, one or more human subjects, except
for - Use of a marketed drug in course of medical
practice, or - Investigation of a marketed drug where there is
- No intent to support a new indication for use or
other significant change in labeling - No intent to support a significant change in
advertising - No factor such as route of administration,
dosage, or patient population that increases or
decreases the acceptability of risks associated
with the product - Compliance with FDA Informed Consent and IRB
Review requirements and - No promotion or representation of the drug as
safe or effective for the purpose under
investigation.
99FDA RegulationsResponsibilities of Sponsors
- Maintaining the IND
- Obtaining Qualified Investigators and Monitors
- Providing Necessary Information/Training for
Investigators - Monitoring the Investigation
- Controlling the Investigational Agent
- Reporting Significant Adverse Events to
FDA/Investigators - Maintaining and Retaining Accurate Records
100FDA RegulationsResponsibilities of Investigators
- Specific Responsibilities
- Ensuring Conduct of the Research per the
Investigator Agreement, Investigational Plan, and
All Applicable Regulations - Protecting the Rights, Safety, and Welfare of the
Research Subjects - Controlling access to and use of the test article
(drug / biologic / device) - Monitoring and Reporting Adverse Events
- Maintaining and Retaining Accurate Records
101FDA Reporting RequirementsIND - Adverse Event
Reporting
- Investigator must report promptly (immediately if
alarming) to the Sponsor any adverse effect that
may reasonably be regarded as caused by the drug
(21 CFR 312.64) - Sponsor must notify FDA of any adverse experience
associated with the drug that is both serious and
unexpected - Serious Adverse Drug Experience death,
life-threatening, hospitalization, persistent
/significant disability / incapacity, congenital
anomaly / birth defect (21 CFR 312.32) - Unexpected Drug Experience any adverse drug
experience, the specificity or severity of which
is not consistent with the current investigator
brochure or IND application (21 CFR 312.32)
102FDA Reporting RequirementsIDE - Adverse Event
Reporting
- Investigator must report any unanticipated
adverse device effect to Sponsor and the IRB as
soon as possible and within 10 working days 21
CFR 812.150 - Sponsor must report any unanticipated adverse
device effect to FDA, all reviewing IRBs, and
investigators 21 CFR 812.150 - Unanticipated Adverse Device Effect any serious
adverse effect on health or safety, or any
life-threatening problem or death, caused by or
associated with a device if not previously
identified in nature, severity, or degree of
incidence in the investigational plan or
application 21 CFR 812.3
103FDA Regulation Exceptions ExemptionsEmergency
Use of a Test Article
- Without Informed Consent 21 CFR 50.23(a)
- Life Threatening Situation Necessitating the Use
- Inability to Communicate with Subject for Legal
Consent - Insufficient Time to Obtain Consent from Legally
Authorized Representative (LAR) - No Alternative Therapy Available
- Certification in Writing from Investigator and an
other Nonparticipating Physician of the Above - Report to IRB Within 5 Working Days
104FDA Regulation Exceptions ExemptionsEmergency
Use of a Test Article (cont.)
- No IRB Review 21 CFR 56.104 (c)
- Life Threatening Situation Necessitating the Use
- No Alternative Available
- Insufficient time for IRB review
- Report to IRB Within 5 Working Days
- Subsequent Use Requires IRB Review
105FDA Regulations Single Patient IND
- Commonly referred to as compassionate use
- Requires Informed Consent and IRB review 21 CFR
312.34 - See OHRS website for guidance
106FDA Device Regulations Compassionate Use
- Compassionate Use of an Unapproved Device may be
approved by FDA when it is the only option for a
patient with a serious condition - Requires as many of the following as possible
- Informed Consent
- Institutional Approval
- Concurrence of IRB Chair (but NOT IRB APPROVAL)
- Independent Assessment of Uninvolved Physician
- Authorization of the Sponsor
107FDA Regulations DevicesSR Devices vs. NSR
Devices
- IRB Must Make a Specific Determination
- Significant Risk Device Investigational device
that presents a potential for serious risk to the
health, safety, or welfare of subjects, including
implants - Non-Significant Risk Device Investigational
devices that does NOT present the potential for
serious risk to the health, safety, or welfare of
subjects - Non-Significant Risk is NOT the same as Minimal
Risk - Once IRB-approves the research as not involving a
Significant Risk Device, the research is
considered to have an approved IDE, unless the
FDA has notified the sponsor otherwise.
108FDA Regulations Off-Label Use
- FDA-approved products (i.e., marketed products)
may be used by physicians outside of labeled
indications FOR THE PRACTICE OF MEDICINE - Such use in RESEARCH (i.e., as part of a
systematic investigation designed to develop or
contribute to generalizable knowledge) requires
IRB REVIEW - Such use intended to support a CHANGE in labeling
requires IRB REVIEW and an IND / IDE
109FDA Regulations Standard of Care Comparisons
- Systematic comparison of FDA-approved products
(i.e., marketed products) used for approved
indications constitutes research and requires IRB
review - Systematic comparison of competing standards of
care constitutes research and requires IRB review
110FDA Regulations Humanitarian Device Exemption
(HDE)
- Humanitarian Use Device (HUD)
- Device tested but not profitable for marketing
- Requires
- IRB Review (Limited) and Approval
- No Research Informed Consent
111FDA Regulations Planned Emergency Research
- Ordinarily Requires IRB Review and Informed
Consent of Subject or Subjects Legally
Authorized Representative (as determined by State
Law for Research Contexts) - Exception from Informed Consent Requirement
Involves Many Specific IRB Determinations and
Approval by FDA or OHRP
112Protections for Vulnerable Subjects
- Under Sections 46.111
- Vulnerable to Coercion or Undue Influence
- eg Handicapped, Disabled, Economically or
Socially Disadvantaged Persons - HHS Subpart B
- Pregnant Women, Human Fetuses, and Neonates
- HHS Subpart C
- Prisoners
- HHS Subpart D
- Children
113HHS Subpart B Research Involving Pregnant
Women, Human Fetuses, and Neonates
- Subpart B -- Revised December 2001
- Research involving pregnant women
- Research involving fetuses
- Research involving neonates of uncertain
viability, nonviable neonates, or viable neonates
114HHS Subpart B 45 CFR 46.204Research Involving
Pregnant Women or Fetuses
- Any research that TARGETS pregnant women or
fetuses requires a special and specific
regulatory review. - Any such research should be submitted directly to
senior staff at OPRS since the IRB will need
special training for the review and approval of
this type of research.
115HHS Subpart C 45 CFR 46.303(c)Research
Involving Prisoners
- Definition of a Prisoner
- Any individual involuntarily confined or detained
in a penal institution under a criminal or civil
statute - Individuals detained in other facilities as an
alternative to criminal prosecution or
incarceration in a penal institution - Individuals detained pending arraignment, trial,
or sentencing
116HHS Subpart CResearch Involving Prisoners
- Subpart C
- Prisoner representative on OHRP approved roster
- Additional duties under 46.305
- Finding of permissible category under 46.306
- Certification to OHRP
- Concurrence from OHRP
117Additional IRB DutiesHHS Subpart C 45 CFR 46.305
- Research is permissible within a 46.306 category
- Advantages of participating are not coercive
given the limited choice prison environment - Risks commensurate with those accepted by
nonprisoner volunteers - Selection procedures are fair
- Language is understandable to the subject
population - Participation has no affect on parole, and
prisoners are so informed - Adequate provisions will be made if there may be
a need for follow-up care, and given varying
lengths of sentences, and prisoners are so
informed - If HHS-supported, institution (IRB) certifies to
OHRP that it has carried out its duties under
these sections
118Categories of Permissible Research HHS Subpart
C 45 CFR 46.306(b)
- The study of the possible causes, effects, and
processes of incarceration, and of criminal
behavior, provided that the study presents no
more than minimal risk and no more than
inconvenience to the subjects.
- The study of prisons as institutional structures
or of prisoners as incarcerated persons, provided
that the study presents no more than minimal risk
and no more than inconvenience to the subjects.
119Categories of Permissible Research HHS Subpart
C 45 CFR 46.306(b)
- Research on conditions particularly affecting
prisoners as a class - ONLY AFTER DHHS
CONSULTATION WITH EXPERTS AND PUBLICATION OF A
NOTICE TO APPROVE IN THE FEDERAL REGISTER.
- Research on practices, both innovative and
accepted, which have the intent and reasonable
probability of involving the health or well-being
of the subject. IF CONTROL GROUP WITH NO BENEFIT,
CONSULTATION WITH EXPERTS AND FEDERAL REGISTER IS
NOTICE REQUIRED.
120Lawsuit Involving Prisoners
- DOJ funded research in Pennsylvania prison
- mandatory drug testing (urine vs. hair)
- no consent
- solitary confinement for refusal to be tested
- facts of case not contested
- Acres of Skin
- Dow, U Pennsylvania, City of Philadelphia
- Prisoners told experiments were harmless
121Research involving Children
122Definition of Minimal Risk
- Definition impacts
- Pediatric Studies
- Important for determining whether a research
protocol or change in research can be expedited
or must go to the full board. - Waiver of Consent
- Document of Consent
123Definition of Minimal RiskFDA, HHS, Federal
Policy
- Minimal Risk means
- The probability and magnitude of harm or
discomfort - Are not greater than those ordinarily encountered
in daily life - or
- During the performance of routine physical or
psychological examinations or tests.
124HHS Subpart D FDA Subpart DResearch Involving
Children
- Category Determinations Required
- Specific Approval Criteria for Each Category
- Protocol-Specific Justification Required
- Not greater than minimal risk
- Greater than minimal risk
- Prospect of direct benefit
- Greater than minimal risk
- No prospect of direct benefit
- Research not otherwise approvable
125Subpart D 45 CFR 46.404 21 CFR 50.51 Research
involving no greater than minimal risk
- Children may be involved in research where the
IRB finds that - The research presents no greater than minimal
risk to the child - Adequate provision are made for obtaining
- The assent of the child
- The permission of the childs parents or guardians
126NICHD Trial
- In the minutes of the NICHD IRB, they noted that
for one protocol, there was more risk to children
in crossing the street than in spending two days
in the hospital hooked up to an IV line.
127Subpart D 45 CFR 46.405 21 CFR 50.52Greater
than minimal risk but presenting prospect of
direct benefit to individual subjects
- Children may be involved in research where the
IRB finds that more than minimal risk to children
is presented by (i) an intervention or procedure
that holds out the prospect of direct benefit for
the individual subject, or (ii) a monitoring
procedure that is likely to contribute to the
subjects well-being if - The risk is justified by anticipated benefit to
subjects - The relation of anticipated benefit to risk is at
least as favorable as available alternatives - Assent of child and permission of parents are
sought.
128Subpart D 45 CFR 46.406 21 CFR 50.53
Research involving greater than minimal risk and
no prospect of direct benefit to individual
subjects
- Children may be involved in research presenting
more than minimal risk without the prospect of
direct benefit or increased well being for the
subject if - Risk is a minor increase over minimal risk
- Research presents situations reasonably equal to
to those inherent in their actual situations - Research is likely to yield generalizable
knowledge about disorder or condition - Adequate provisions for obtaining child assent
and parental permission.
129Fenfluramine Study
- New York State Psychiatric Institute
- Mount Sinai School of Medicine
- Queens College
- The study focused on 34 boys between the ages of
6 and 10 who had brothers with violent tendencies
as reflected in court cases. - The boys were given fenfluramine.
- Did children with siblings who were juvenile
delinquents have a greater propensity towards
juvenile delinquency.
130Fenfluramine Study
- Since the study did not provide any benefit, was
it likely to yield generalizable knowledge about
an underlying condition or disorder?
131Subpart D 45 CFR 46.407 21 CFR 50.54
Research not otherwise approvable but presenting
opportunity to understand, prevent, or alleviate
a serious problem affecting health or welfare of
children
- IRB finds the research presents opportunity as
above - HHS Secretary, after consultation with panel of
experts public review and comment, determines - The research presents reasonable opportunity as
above - The research will be conducted in accordance with
sound ethical principles - Adequate provisions are made for obtaining child
assent and parental permission
132Subpart D Research Involving ChildrenParental
Permission Required
- Permission of Both Parents Required If Greater
than Minimal Risk, unless - One parent not reasonably available
- One parent has sole custody
- Standard HHS Waiver Not Contained in FDA
Regulations - HHS Waiver in Interest of Child Not Contained in
FDA Regulations - 45 CFR 46.408
133Subpart D Research Involving Children Assent
of Child Required
- Developmentally Appropriate as Determined by IRB
- Documentation as Determined by IRB
- Unless the Research Holds the Prospect of Direct
Benefit Available Only in the Research - Or
- Unless Waived by IRB per criteria at 45 CFR
46.116(d) - 45 CFR 46.408
134What happens if a child reaches the legal age of
consent?
- Subject is a child enrolled in research
- Subject reaches the age of majority
- IRB can
- waive informed consent if can meet 4 regulatory
requirements - otherwise, investigators have to re-consent the
individuals
135Conflicts of Interest
136Types of Conflict of Interest
- Individual
- Clinical investigators
- Study coordinators
- Research technicians
- Research officials
- IRB members
- Institutional
- Financial holdings of the institution
- Decisions regarding research funding or
allocation of resources for research
- Financial
- Consulting fees
- Stock ownership
- Honoraria
- Salary
- Intellectual property rights
- Enrollment bonuses
- Spouse / dependent finances
- Professional
- Pressure to publish
- Professional rivalries
- Career advancement
137Questions?