Title: Human Research Protection Program 101
1Human Research Protection Program 101
- January 29-30, 2008
- Los Angeles, California
2The Device Side of FDA Regulations
C. Karen Jeans, MSN, CCRN COACH Project Analyst
3Medical Device Definition
- Defined, in part, as any health care product that
does not achieve its primary intended purposes by
chemical action or by being metabolized
4Investigational Device Definition
- A medical device which is the subject of a
clinical study designed to evaluate the
effectiveness and/or safety of the device.
5 Clinical Study Regulation
- Federal Food, Drug, and Cosmetic Act gives FDA
the authority to regulate investigational
devices - To encourage the discovery and development of new
devices - Maintain optimum freedom for scientific
investigations
6Section 520(g) of the Act
- Requires IRB approval for all clinical
investigations - Requires informed consent from all subjects
unless emergency use
7IDE Regulation(Part 812)
- Allows an unapproved device to be shipped for
clinical evaluation - Identifies sections of the Act from which IDEs
are exempt - Identifies exempted investigations (e.g. cleared
devices, IVDs) - Defines SR and NSR investigations
8IDE Regulation(Part 812)
- Clinical investigations undertaken to develop
safety and effectiveness data for medical
devices must be conducted according to the
requirements of the IDE regulations. - Unless exempt from the IDE regulations, an
investigational device studies must be
categorized as - Significant Risk (SR) or
- Nonsignificant Risk (NSR)
9Significant Risk (SR) Study
- Presents a potential serious risk to the health,
safety, and welfare of a subject and is - an implant or
- life supporting or sustaining or
- of substantial importance in diagnosing, curing,
mitigating, or treating disease or preventing
impairment of human health - FDA approval required
- Examples
- Extended wear contact lenses
- Cardiac stents
10Nonsignificant Risk Studies
- FDA approval not needed
- Not to be confused with the concept of minimal
risk - Examples
- Urologic catheters
- Low level biostimulation lasers
- Conventional implantable vascular access devices
11Chronology of an investigational device study
- Sponsor initially determines whether a device
used in a clinical investigation represents a
nonsignificant risk or significant risk - Study is submitted to FDA for SR studies and to
an IRB for NSR studies
12Chronology of an investigational device study
- SR studies
- Submission of an IDE application to FDA required.
- Study may not commence until FDA has approved the
IDE application and the IRB has approved the
study. - NSR studies
- No submission of an IDE application to FDA
- Sponsor required to conduct the study in
accordance with the abbreviated requirements of
the IDE regulations
13Chronology of an investigational device study
- IRB decision
- If IRB agrees that a study is NSR, no submission
to or review by FDA is necessary before starting
studies in humans. - If IRB considers the study to be SR, the sponsor
must obtain an IDE from FDA before proceeding
with clinical studies. - NOT AN OPTION An IRB considers a study to be
NSR with FDA approves an IDE for a SR device.
14Chronology of an investigational device study
- Deciding whether a device study is SR or NSR
- IRB written policies and procedures regarding
device review - Best abilities
- Information in regulations and guidelines
- Risk evaluation provided by applicant
- Reports of prior investigations
- Proposed investigational plan
- Subject selection criteria
- Monitoring procedures
- Outside assistance
15Required IRB policies and procedures
- When the IRB determines that an investigation
presented for approval as involving an NSR device
actually involves an SR device, the IRB is
required to notify the investigator and, where
appropriate, the sponsor. - Written procedures for conducting its initial
review of research. - Written procedures for reporting its findings and
actions to the investigator. - Procedures for determining whether a study is SR
or NSR should be included among the written
procedures.
16Key Points to Remember
- IRBs may agree or disagree with a sponsors
initial NSR assessment. - Risk determination should be based on the
proposed use of the device in an investigation,
and not on the device alone. - Criteria for deciding if SR and NSR studies
should be approved by the IRB are the same as for
any other human research study. - FDA has the ultimate decision in determining
whether a device study is SR or NSR.
17Emergency use of an approved device
- Three circumstances for emergency use of an
unapproved device - No IDE for the device
- Use of a device under an IDE where the physician
wants to use it in a way not described in the IDE - When the physician, who wants to use it, is not
an investigator
18Criteria for emergency use
- Each of the following conditions must exist
- Life-threatening condition or serious disease or
condition - No generally acceptable alternative treatment is
available - No time to obtain FDA approval
- FDA expects the physician to determine whether
these conditions have been met and must assess
potential for benefit and have substantial reason
to believe benefit will occur.
19Criteria for emergency use
- Each of the following conditions must exist
- Life-threatening condition or serious disease or
condition - No generally acceptable alternative treatment is
available - No time to obtain FDA approval
- FDA expects the physician to determine whether
these conditions have been met and must assess
potential for benefit and have substantial reason
to believe benefit will occur.
20After the emergency use
- Physician must notify the IRB within 5 days
- If future use likely, immediately initiate effort
to obtain IDE and IRB approval - If device was under an IDE, physician notifies
the sponsor, who must report to FDA within 5 days - If no IDE exists, physician notifies FDA
- About the emergency use
- Patient protection measures
- Scientific results
21Other device terminology
- 510(k)
- Compassionate use
- Single patient/small group
- Custom Devices
- Treatment Use
- Humanitarian Use Device
22Humanitarian Use Device (HUD)
- Manufacturer responsibilities
- Obtain HUD determination from the Office of
Orphan Products Development - Treatment or diagnosis of rare disease or
condition - 4000 or fewer patients
- No comparable device is available
23Humanitarian Device Exemption (HDE)
- The manufacturer must return to the Center for
Devices and Radiological Health (CDRH) for
approval of the HDE application - Bench and animal testing
- Clinical experience
- Approval based on probable benefit outweighing
risk of injury from its use - HDE label states the effectiveness of this
device for this use has not been demonstrated - The HDE allowing marketing distribution of the HUD
24HUD HDEIRB Responsibilities
- IRB Activities
- Approval before HUD is administered
- Initial review at a convened meeting
- Continuing review
- Receive Medical Device Reports (MDRs)
- Withdrawal of approval
- Safety reasons
- Failure to follow FDA regulation/IRB procedure
25HUD Issues What causes problems?
- No protocol
- No informed consent requirements under FDA human
research regulations - Not research
- IRB approval and continuing review required
- RD Committee
26Center for Devices and Radiological Health
- Medical Devices
- Division of Bioresearch Monitoring Office of
Compliance Center for Device and Radiological
Health (CDRH)Phone 240-276-0125Fax
240-276-0128Web site www.fda.gov/cdrh/comp/bimo.
html
27QUESTIONS