Title: Patient and Public Engagement' Research Capability Programme
1Patient and Public Engagement.Research
Capability Programme
- Tony Sargeant.
- PPI member. External Reference Group EHealth
Research Records Board and Research Capability
Programme..
2My Health Research Background and PPI Experience.
- Long term patient benefiting from health
research and contributing as subject to health
research projects. - Member of PCT PPI Forum with particular interest
in use of electronic care records for health
research. Bury PCT Early Adopter Site. Summary
Care Record. - UK Clinical Research Collaboration. Research
Advisory Group. - Lay Peer reviewer. National Institute Health
Research. Applied Research Programme. - Member. NW Service User Research Group. Lancaster
University. - Member. Advisory Group. Primary Care Research
Unit . Manchester University.
3PPI arrangements for the RCP.
- Three lay members RCP External Reference Group
- Attend Monthly Meetings during Enabling Phase
RCP 2007-2008 and forthcoming Procurement
Phase.2008-2009. - Have opportunity to contribute to all 6
work-streams RCP. Public Engagement and
Communication work-stream stands referred to SUS
and so far no opportunity for consultation re
public engagement and consultation. - Comment on Communication Strategy
- Contributed to O Gateway Review
4The Public Context of E-Records and Health
Research. Public support in principle.
- Own experience and evidence from several surveys
(MRC, MORI, Welcome Trust) and recent evaluation
of Summary Care Record Early Adopter sites,
confirm public support in principle for use of
personal health records in medical research. - A large percentage of population either have no
particular view about use of their own records or
are supportive of their use. This may be because
they are unaware of the emerging e-record data
base and its uses(SCR Evaluation suggests this)
or simply dont care.
5The Public Context of E-Records and Health
Research. Support conditional.
- Public support in principle is undermined by
- Major lapses in security of electronic data by
government and private sector - Apparent and real failures of controls on access
to data within the health service due to
carelessness.CfH admit to appox 4000 lost cards.
GP Pulse magazine suggest the figure may be
nearer 6000. - NHS clinical staff failure to understand the
correct procedures governing access to data or
patient consent rules. SCR Early Adopter Site
Evaluation.and anecdotal. - Doubt that health researchers are equivalent to
clinical staff in having access to personal
health records or adherence to information
governance requirements. - Lack knowledge of concrete benefits of research.
(Long term patients most likely to be interested
in outcomes and benefits.) - Total opposition from some patient interest
groups and clinicians amounting to calls to
boycott electronic records and refuse consent to
upload personal records. - Concern that research data base may be restricted
by cost to large research teams and
pharmaceutical industry using business model that
favours refinement of existing treatments rather
than tackling less common illness where financial
returns are poor. - Data sharing creep. Can electronic records really
be protected from access by other Gov Depts?
DWP,Security Services? - Concerns of groups with sensitive health
conditions (HIV,Mental Health) that they will be
disadvantaged by an electronic record system
accessible to people other than those with
immediate responsibility for their treatment.
6- It is public perception of risks and benefits
that are likely to govern acceptance of
legitimacy of creation of large scale data bases. - The role of PPI members on RCP ERG is to satisfy
themselves that public concerns and interests are
credibly addressed
7Issues of Significance for PPI
- PPI members need to be assured that the
architecture, scope and procurement strategy of
the research capability programme takes full
account of patient and public concerns relating
to - Security and confidentiality of personal health
records. Unauthorised and malign access. Loss and
misuse of data. - Data sharing for research purposes.
- Possible access to personal health data by third
party interests such as government departments,
private sector health organisations and research
companies, insurance companies. - Techniques used to pseudonymise, anonymise and
aggregate individual patient records. - Safeguards to protect patient confidentiality and
wishes when research uses records from which it
is possible to identify individual patients. - Information governance and human resource
standards required from Safe Havens and providers
of Safe Haven services. - Sharing with patients and public outcomes of
research and opportunities to participate in
research.
8Are existing provisions for safeguarding
individual records transferable to aggregated
data?
- Existing law and governance arrangements relating
to privacy, access to health records and informed
consent to use data, focus primarily on
individual records. - Research ethics committees and protocols also
have a contribution to make to assuring patients
that data will be used ethically and properly
safeguarded from unauthorised access. But
sometimes gap between principles and practice. - Strategies for creating and combining large
scale data sources for research purposes
potentially raise additional concerns for
patients arising from the characteristics of the
research process as distinct from clinical
intervention.
9PPI Issues Arising from Use of Aggregated Data.
- Do initial arrangements for patient consent to
use personal records explicitly take account of
use for secondary research and incorporation
into aggregated data bases? - Are there effective provisions to prevent
re-identification of individuals in otherwise
anonymised or pseudonymised data. - Will data sharing rules provide adequate
safeguards against use of data for malign
purposes. I.e insurance companies using data to
identify risks to be excluded from individuals
insurance cover.
10The current context of Patient and Public
Engagement with RCP.
- PPI engagement is encouraged and the cycle of
meetings provide for inclusion of lay members. - At the conclusion of the enabling phase PPI
members feel that PPI engagement is flawed in
practice. - The public engagement agenda is addressed without
reference to PPI members on ERG. - Speed and complexity of development makes it
difficult for PPI members to engage effectively. - No joined up thinking.There are few if any easily
identifiable channels to coordinate PPI
involvement with related PPI stakeholders in
other projects and programmes. - Communication appears to be primarily focused on
the research audience with public explanation and
engagement an after-thought. - Public scepticism about risks and value of
e-records research is not as yet being engaged in
terms of dialogue. Telling people is not the same
as engaging with them.