Title: Research Involving Human Subjects
1Research Involving Human Subjects
- Tracy L. Dietz, Ph.D.
- Chair, UCF IRB
2When is IRB Approval Required?
- According to the OHRP
- If the activity
- Involves any element that is research
- Includes humans subjects
- identifiable data about humans,
- identifiable cell lines,
- data from humans
- According to UCF Policy
- Only the IRB can determine if study is exempt
- Investigators or others may not make this
determination
3What is Research?
- 45 CFR 46.112 defines research as
- a systematic investigation, including research
development, testing and evaluation, designed to
develop or contribute to generalizable knowledge.
Activities which meet this definition constitute
research for purposes of this policy, whether or
not they are conducted or supported under a
program which is considered research for other
purposes.
4What is a Human Subject?
- 45 CFR 46.112 defines a human subject as
- a living individual about whom an investigator
(whether professional or student) conducting
research obtains - Data through intervention or interaction with the
individual, or - Identifiable private information
- Thus, this includes actually interacting or
intervening to obtain data but it also means
identifiable cell lines and identifiable data
taken from records (which are not public records)
5What is Identifiable?
- Names
- Social Security Numbers
- Addresses
- Also, if the information that is obtained is
specific enough with the different variables to
allow someone to determine identity, then it is
identifiable (such as in a very small population
size).
6What is a Public Record?
- Public records are those data sources that are
available to anyone from a public source (such as
on the internet, from associations, from
licensing agencies, etc). - What is not a public record?
- Items that are part of a sealed report or record
- Student records
- Employee records
- Medical records
- Counseling records
- MANY, MANY others. Just because they are
existing does not mean they are public
7What About Institutional Level Data?
- Studies involving aggregate level data do not
require IRB approval. - Examples include
- Numbers of people treated in any given month
- Doctor to patient ratio
- Policies that govern decisions at the clinic, etc.
8How are studies classified
- Full Board greater than minimal risk or needing
group decision as to risk, ethics, or other
problem areas. - Expedited according to specific federal
regulation list and minimal risk only. See list. - Exempt according to specific federal regulation
list and minimal risk only usually this is
research involving databases, secondary data use,
or existing (already collected and/or stored)
data, documents, records, pathological specimens
or diagnostic specimens. See list.
9Federally designated vulnerable populations
- For more information http//www.hhs.gov/ohrp/irb/i
rb_chapter6ii.htm - Fetuses and Human in vitro fertilization
- Pregnant women
- Children
- The Cognitively impaired
- Prisoners
- Traumatized and comatose patients
- Terminally ill patients
- Elderly/aged ONLY when there is cognitive
impairment or institutionalization - Socially and economically disadvantaged
- Students, employees, and normal volunteers WHEN
there are procedures that may create feelings of
coercion, etc. - International research
10International Research
- Several regulatory standards provide foundation
and ethical codes. Much of it
medically-focused. - The International Compilation of Human Subject
Research Protections lists laws, regulations, and
guidelines governing human subjects research
world-wide http//www.hhs.gov/ohrp/international/H
SPCompilation.pdf
11Strategies for Protecting Human Subjects in
Global Project
- See summary report http//www.rti.org/pubs/protect
ing_research_subjects.pdf - Informed Consent
- Local language
- Adequate explanation
- Consent from gatekeepers or community leaders
- Avoid undue inducement and avoid social harm (or
perception of it) - Consider solicitation of community input
- Signed consent not mandatory (consider literacy)
12Strategies for Protecting Human Subjects in
Global Project (cont)
- Communities can be unaware of their rights
- Communities can be distrustful of researchers
- Issues of concern
- Confidentiality and privacy protection
- Intellectual property
- Access to medicines and vaccines
- Involvement of children in clinical research
- Use of stem cells
- Research with biological weapons
- Appropriate compensation
13Things to consider in International Research
- Risks of Research can be different in an
international setting - What is considered private may be different
- Age of majority may be different
- May be gender differences
- Cultural expectations about what is appropriate
to do/ask
14HIPAA
- The Health Insurance Portability and
Accountability Act of 1996, also known as the
Privacy Rule - Established a set of national standards for the
protection of certain health information. - Requires that an IRB or a Privacy Office review
research involving identifiable health
information. - Protected Health Information (PHI) What it is.
What it isnt. - UCF HIPAA components
- Communication Sciences Disorders and Health
Services
15What are the PHI identifiers?
- Name
- Geographic subdivisions
- Phone numbers
- Fax numbers
- E-mail address
- Social Security number
- Medical record number
- Health plan beneficiary number
- Account numbers
- URLS
- Certificate/license numbers
- VIN, serial number, license plate number
- Device identifiers and serial numbers
- IP address
- Biometric identifiers
- Full face/comparable images
- Any other unique code
16HIPAA Authorization Waiver of Authorization
- HIPAA Authorization
- Waiver of HIPAA Authorization (example
retroactive chart review for data collection) - To qualify for a Waiver of Authorization
- Research use of PHI does not represent more than
a minimal risk to privacy - Research could not be done without the requested
PHI - It would not be practical to obtain signed
authorizations from research subjects (if you are
talking to them, it is practical) - Specific elements of PHI are not more than the
minimum necessary to accomplish study goals.
17Biosafety Committee Review
- Research involving hazards require biosafety
and/or radiation committee approval. - Microbiological/viral agents, pathogens, toxins
and other selected agents - Human cell or tissue samples
- Recombinant DNA
- Chemicals
- Controlled substances
- Ionizing Radiation
- Physical agents such as ultraviolet light, lasers
(class 3b - or 4)
18FDA
- FDA regulation occurs with all medical devices
http//www.fda.gov/oc/ohrt/irbs/irbreview.pdf - What is a medical device?
- IRB is to make determination of significant
versus non-significant risk - How are medical devices classified by FDA?
- Class 1
- Examples elastic bandages, exam gloves)
- Class 2
- Examples powered wheelchairs, surgical drapes,
infusion pumps - Class 3
- Examples replacement heart valves, implanted
cerebellar stimulants
19Other information on FDA
- Premarket notification 510(k)
- Premarket approval PMA http//www.fda.gov/cdrh/
devadvice/ - Humanitarian use device -- HUD
- Humanitarian device exemption -- HDE
- Medical device clinical investigation IDE
- Request for pre-IDE conference or classification
513(g) - Small Manufacturers Division 1-800-638-2041
20IDE Investigational Device Exemption
- Significant Risk Device
- Intended as implant and presents potential for
serious risk - For use in supporting or sustaining life and
presents serious risk - Substantial importance in diagnosing, curing,
mitigating, treating disease and presents serious
risk - Otherwise presents serious risk
- Regulations for IRB review, marketing, labeling,
etc. apply as per 21 CFR 812
21Non-significant Risk
- Non-significant risk device
- An NSR device is an investigational device that
does not meet the definition of a significant
risk device - IRB determination that a device is
non-significant risk relies upon - Sponsors description of why it is not SR
- Whether proposed NSR research meets the
definition of significant risk - Use of device protocol related procedures/tests
(not just device alone) - Additional information from sponsor
- PIs are responsible for abbreviated
requirements at 21 CFR 812 - Exempt Studies
- Subject to informed consent
- Off-label USE of legally marketed device does not
require IRB approval as in the normal practice of
medicine, but research to make claims or change
the label does require IRB review and approval
22Collaboration
- Collaborators from other institutions engaged in
the research must be identified as well as their
roles, such as - Administer research interviews, questionnaires,
etc. - Perform invasive or non-invasive procedures or
experiments - Manipulate a subjects environment
- Receive or access identifiable private
information - Obtain informed consent
- The collaborating institution must have a
Federalwide Assurance if it receives federal
research funding - Collaborators must complete CITI training
23Institutions Not Engaged
- Release individually identifiable information or
specimens to another institution - Permit investigators from another institution to
use their facilities, students, employees, etc.
for research - Provide information about research to prospective
subjects - Perform commercial or non-collaborative service
24IRB Contact Information
- Barbara Ward, CIMIRB CoordinatorPhone
407-882-2276 Joanne Muratori, CIM IRB
Coordinator Phone 407-823-2901 - Janice Turchin, CIP
- IRB Assistant
- Phone 407-882-2012