Title: Informed Consent Exception for Emergency Research
1Informed Consent - Exception for Emergency
Research
- Bonnie M. Lee
- Associate Director for Human Subject Protection
Policy
- Office for Good Clinical Practice
- Food and Drug Administration
2Informed Consent - Exception for Emergency
Research
- Briefly What are the regulatory requirements?
- Focus
- Community consultation requirements.
- What you can do
- What we can do
3Important Note
- FDA regulations do not allow IRB waiver of the
consent requirement or altering of the consent
procedure.
- FDA regulations provide an exception to informed
consent for
- individuals in a life-threatening situation (21
CFR 50.23)
- emergency research (21 CFR 50.24)
4Informed Consent - Exception for Emergency
Research
- 21 CFR 50.24, effective 11/1/96
- Narrow exception to requirement to obtain and
document informed consent
- For a limited class of research involving
subjects in need of emergency medical
intervention, who cannot provide informed consent.
5Informed Consent - Exception for Emergency
Research
- Based on a Consensus Statement by the Coalition
of Acute Resuscitation and Critical Care
Researchers (JAMA, April 26, 1995)
- Needed because deferred consent does not equate
to informed consent
6Criteria for IRB Approval
- Clinical equipoise (Experts question whether the
relative benefits and risks of the research
intervention are equivalent, or better than,
standard therapy) - Direct benefit (The intervention must be
promising, and must hold out the prospect of
direct benefit to the subjects)
7Criteria for IRB Approval
- Subjects are in a life-threatening situation
requiring intervention
- Available treatments unproven or unsatisfactory
- Research is needed to determine safety and
effectiveness of intervention under study
8Criteria for IRB Approval
- Informed consent is not feasible
- Subjects cannot consent due to their medical
condition and
- Intervention must start before consent from a LAR
is feasible and
- No reasonable way to identify likely subjects
prospectively
- --21 CFR 50.24(a)(2)
9Criteria for IRB Approval
- Study participation holds out prospect of direct
benefit to the subjects because
- Their life-threatening situation necessitates
intervention
- Appropriate animal other preclinical studies
have been done support the potential for direct
benefit to the subjects and
- Risks are reasonable in relation to the subjects
medical condition the risks and benefits of
standard therapy and the proposed intervention.
- --21 CFR 50.24(a)(3)
10Criteria for IRB Approval
- The study could not practicably be done without
the waiver.
- Waiver of consent is not appropriate when
- Time is sufficient to obtain LAR consent
- Most subjects have a LAR readily available
- Subject population can be identified, and
prospective consent obtained, before a
predictable, life-threatening emergency
- --21 CFR 50.24(a)(4)
11Criteria for IRB Approval
- The study plan includes
- A defined potential therapeutic window based on
scientific evidence
- Commitment from the clinical investigator to
- Try to contact each subjects LAR within that
window to get consent, or a family member who
could object to subjects participation
- Summarize these contact efforts and report them
back to the IRB at the time of continuing review
- --21 CFR 50.24(a)(5) (7)(v)
12Criteria for IRB Approval
- There must be
- Informed consent procedures, and
- An informed consent document to be used where
feasible for subjects or legally authorized
representatives, and
- Information to be used when providing an
opportunity for a family member to object to the
subjects participation in the study.
- --21 CFR 50.24(a)(6)
13Criteria for IRB Approval
- There must be procedures
- To inform, asap, each subject, LAR, or family
member, as appropriate
- The details of the study after the subjects
inclusion in the study
- Right to discontinue participation in the study
without penalty or loss of benefits
- Must be disclosed in event of subjects death
- --21 CFR 50.24(b)
14Special Protections
- Independent data monitoring committee to exercise
oversight of the investigation.
-
- Community consultation
- Public Disclosure to the communities before and
after the study
- --21 CFR 50.24(a)(7)(i), (ii), (iv)
15Requests to Use the Rule
- In 6 years since it was effective
- Approx. 30 requests to use the rule
- Approx. 20 protocols allowed to proceed under the
rule
16Common issues/deficiencies
- Study not appropriate for 50.24 exception
- No informed consent document or procedures
- No procedures for informing LAR or family member
that subject was enrolled in study (in the event
of the subjects death)
- Minimal or no plans for community consultation
- Minimal or no plans for public disclosure
17Common issues/deficiencies
- Failure to define the therapeutic window
- Independent Data Monitoring Committee
18Initial Community Consultation
- Who?
- Community where research will take place
- Community from which subjects will be drawn
- When? Prior to initiation of the study
- Why?
- Allows the community(ies) to discuss the research
with the investigators, and to provide feedback
to the IRB
19Public Disclosure
- Who?
- Same communities (plus research community)
- When and What?
- Before initiation of the study
- Study plans (not usually disclosed by sponsor)
- Informed consent wont be obtained from most
subjects subjects
- After study is completed
- Comprehensive summary data sufficient to apprise
the communities and researchers of the study
results
- Demographic information about the research
population
20Consultation Disclosure
- How much is enough?
- One town meeting?
- A legal notice in the local paper?
- Informing hospital staff?
- An ad with a phone number for the public to call
for more information?
21Consultation
- Rule doesnt dictate how or what to do
- Communities differ N.Y.City v. village
- size, homogeneity of population, languages...
- Effective consultation
- Multifaceted
- Informative to IRBs and communities
- Continuing
22Consultation
- Need to determine the demographics of the
potential subject population
- review demographics of patients previously
treated for the condition under study
- Need to determine the demographics of the
community in which the research will be conducted
- geographic region, e.g., city or region
23Consultation
- Go to Gatekeepers to groups to develop plan for
consultation
- Elicit interest newspaper articles, talk shows,
advertise meetings
- Address skepticism/special concerns
- Use existing (better attendance) v. special
(folks with strong interest) meetings
24Consultation - 2-way Communication
- Inform community
- no informed consent for most subjects
- risks and potential benefits
- right to refuse and how to be excluded
- Community informs IRB
- support for, or concerns about, the research
activity
- Exchange of Information
25Consultation
- IRB must hear/learn of concerns
- IRB may
- approve study or
- change study (e.g., limit enrollment) or
- decide it is inappropriate
- decide more consultation is needed
26Consultation
- Provides sunshine to the research enterprise
- It IS NOT intended to substitute for consent
(i.e., the community does not vote yea or nay)
27What can you do?
- National EMS Research Agenda calls for
- evaluating current regulatory requirements
- identifying those that are impediments to EMS
research
- then, develop EMS-specific consent strategies
- appropriate revisions to existing regulations
28What can you do?
- Model The Coalition of Acute Resuscitation and
Critical Care Researchers
- evaluate current regulatory requirements
- identify impediments to EMS research
- develop EMS-specific consent strategies
- appropriate revisions to existing regulations
- Reach a consensus
29What can you do re consultation?
- If community consultation and community
disclosure requirements are a particular
concern
- develop a model for how such requirements ought
to be fulfilled
- a model
- establishes a voluntary standard
- avoids recreating the wheel at each site
30What can you do re consultation?
- Use existing networks to enlist the public
- civic e.g. schools, churches, social clubs
- occupational e.g., businesses, professional
organizations
- informational e.g., media, internet, libraries
- Incorporate public health messages
- how to lower risk of condition/disease
31What can you do re consultation?
- Nurture trust and confidence
- candor
- openness to media
- effective communication
- Consider a citizen advisory panel to plan outreach
32What is FDA doing?
- Developing guidance re informed consent in large
scale public health emergencies
- when informed consent is required
- how to facilitate information dissemination,
comprehension, voluntariness, and consent
- when informed consent is not required
- how the existing exceptions may be applied in
this situation
33Our Goal
- Protect research subjects
- Improve EMS, patients survival and outcomes
- Not, to necessarily make doing the research easy