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IRB Guidelines for CourseRelated Research on Human Subjects

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Title: IRB Guidelines for CourseRelated Research on Human Subjects


1
IRB GuidelinesforCourse-Related Research on
Human Subjects
  • Presented By
  • Office of Research Compliance
  • Christina Booth, Director

2
ORC Objective
  • To form a partnership with students and their
    advisors and provide general research ethics and
    protections
  • To facilitate student protocol submissions in
    conjunction with your advisor prior to review by
    the IRB
  • To provide information on IRB guidelines

3
Definition of Research with Human Subjects
www.hhs.gov/ohrp/humansubjects
4
Facilitating Student Submissions
Students should not re-invent the wheel that
is, they can use sample forms on the ORC
website http//www.usm.maine.edu/orc/irb/
  • Sample Forms select appropriate consent form
    template(s) and adapt to type of project
  • Investigator Guidelines follow the USM IRB
    Application Checklist

5
Why Is This Importantand Necessary?
  • The templates meet basic federal guidelines
  • IRB reviewers are familiar with the consent
    templates and protocol summary format, thus
    facilitating the review process

6
Categories of Review/Determinations
  • Full Board Review
  • Expedited Review
  • Exemption
  • Not Human Subjects Research (is not a systematic
    investigation...designed to develop or contribute
    to generalizable knowledge (45 CFR 46.102 (d)
    is not going to be part of a public presentation
    or article for publication).

7
How We Work Together to Facilitate the IRB Process
  • Your professor is aware that they must complete
    the Course-required Data Collection form
  • You are aware of IRB review criteria and check to
    see that your protocol meets that criteria
  • You complete your NIH on-line certificate and
    forward your copy to ORC, or hand into your
    professor, who will collect everyones and
    forward in a packet
  • You make sure your application and materials are
    in the best possible shape, utilizing the
    Application Checklist, prior to sending to ORC

8
Analysts Role
  • To assist in determining what level of review the
    protocol will require, or if it is exempt, not
    human subjects research, etc.
  • Are the risks and benefits to participants
    indicated in the protocol summary included in the
    informed consent procedure?
  • Does the research tool reflect the specific aims
    in the protocol summary and informed consent?
  • Are informed consent procedures consistent with
    degree of risk noted in the protocol summary?

9
The Use of Confidential Agency List Records
  • Students must be mindful of how they are
    recruiting prospective subjects. For example,
    students must have permission from agencies to
    use confidential mailing lists, etc. (privacy
    issues)
  • At their discretion, agency may agree to mail out
    a student survey on behalf of the student

10
The Use of Confidential Agency Lists/Records
Contd
  • An agency may agree to allow a records review by
    the student. If the agency falls under HIPAA
    regulations, students must abide by the policies
    and procedures of the agency as the covered
    entity under HIPPA. Trained if necessary by the
    agency.

11
How to Get the NIH Online Training Certificate
Out of the Way!
  • Suggestions for meeting this requirement?
  • Some professors have made it a class assignment,
    and faculty have completed it at the same time
    students do.
  • Faculty advising students do need to have a copy
    of their NIH certificate also. (On-campus RCR
    training is not a substitute!)

12
training continued
  • Students and faculty may also be required to have
    additional training (on-campus RCR, if they have
    NSF grants, etc.)
  • HIPAA training may also be required (primarily
    from the covered entity where student collects
    the data)

13
Tried and True Approaches to Course Assignments
  • For students, without any prior research
    experience
  • Literature reviews
  • Hypothetical research projects that students do
    not carry out live
  • Students serve as data collectors for one large
    course project developed by a faculty member
    (will require exemption determination or IRB
    review)

14
Tried and True Approaches to Course Assignments
Contd
  • Minimal risk studies such as with non-vulnerable
    populations/non-sensitive subject matters
  • Minimal risk studies by proxy. Students
    interested in research with vulnerable
    populations use key informants. (e.g., people who
    work with trauma survivors)
  • Students who have a lot of clinical
    experience/contact with a vulnerable population
    does not mean they have research experience
  • Both will require either exemption determination
    or IRB review

15
Addressing Privacy Issues
  • Students conducting voluntary anonymous surveys
    of other students/staff must have options of
    places where participants can return surveys
    (e.g. a box in the Social Work Dept., mail-back
    locations, etc.)
  • Group administered surveys are not out of the
    question. However, students who conduct surveys
    with their classmates should offer options of
    where to return surveys if their classmates do
    not wish to complete in a group setting, etc

16
ORC Input
  • Analyst can provide some assistance to students
    and make suggestions so that a study meets
    exemption criteria. However, students need to
    work directly with faculty on research
    methodology.
  • Some research projects do not qualify for
    exemptions under any circumstances focus
    groups, oral history projects (Expedited Review),
    greater than minimal risk (Full Board)

17
Definition of Minimal Risk
  • Minimal Risk that the probability and
    magnitude of harm or discomfort anticipated in
    the research are not greater in and of themselves
    than those ordinarily encountered in daily life
    or during the performance of routine physical or
    psychological examinations or tests. (45 CFR
    46.102 (i))

18
Greater than Minimal Risk Projects
  • Federal Definition where identification of
    subjects and/or their responses would reasonably
    place them at risk of criminal or civil liability
    or be damaging to the subjects financial
    standing, employability, insurability,
    reputation, or be stigmatizing (Code of Federal
    Regulations)
  • If so, have reasonable and appropriate
    protections been implemented so that risks
    related to invasion of privacy and breach of
    confidentiality are no greater than minimal?
    (45 CFR 46.110 (c))

19
What are Greater than Minimal Risk Projects?
  • Greater than minimal risk projects include the
    use of vulnerable populations (children,
    prisoners, pregnant women, people with diminished
    capacity to give consent, mentally or physically
    challenged individuals) and protocols/questions
    posed that are sensitive in nature for the
    previously named populations.

20
Categories of Sensitive Information
  • Information relating to sexual attitudes,
    preferences, or practices
  • Information relating to the use of alcohol,
    drugs, or other addictive products
  • Information pertaining to illegal conduct
  • Information that if released could reasonably
    damage an individuals financial standing,
    employability, or reputation within the community

21
Categories of Sensitive Information Contd...
  • Information that would normally be recorded in a
    patients medical record and the disclosure of
    which could reasonably lead to social
    stigmatization or discrimination
  • Information pertaining to an individuals
    psychological well being or mental health
  • Genetic information

22
Full Board Reviews
  • It has been determined by the Board and
    Administration that Full Board Reviews are not
    appropriate for student protocols.

23
IRB Approval Criteria
  • Risks to subjects are minimized. Procedures used
    are consistent with sound research design and do
    not unnecessarily expose subjects to risk.
    Whenever appropriate, the research uses
    procedures already performed on subjects for
    other purposes, such as diagnosis or treatment
  • Risks to subjects are reasonable in relation to
    anticipated benefits, if any, to the subjects,
    and the importance of the knowledge that may
    reasonably result from the study

24
IRB Approval Criteria Contd
  • The selection of subjects is equitable taking
    into account the purposes of the research and
    the setting in which the research will be
    conducted
  • Informed consent is sought from each
    prospective subject or the subjects legal
    representative
  • Informed consent is appropriately documented
    from each prospective subject in accordance with,
    and to the extent required by state and federal
    regulations

25
IRB Approval Criteria Contd...
  • Where appropriate, the research protocol makes
    adequate provisions for monitoring the data
    collected to ensure the safety of participants
  • There are adequate provisions to protect the
    privacy of subjects and to maintain the
    confidentiality of data and
  • Where some or all of the subjects are likely to
    be vulnerable to coercion or undue influence,
    additional safeguards have been included in the
    protocol to protect the rights and welfare of
    those subjects.

26
Case Study 1
  • A student who works for a small local mental
    health agency would like to conduct a voluntary
    anonymous survey of his co-workers about their
    experience with daily stress on the job. He
    plans to share the grouped results of his study
    with the agency and co-workers.

27
Case Study 1 Contd...
  • He has received permission of the agency to leave
    the surveys in co-workers mailboxes. He plans to
    offer options to participants as to how they can
    return the completed survey. They can put it
    into a designated box in the employee lounge or
    leave in his office mailbox.
  • Will this study require IRB review?

28
Case Study 1 Contd...
  • Student will need to complete an IRB application,
    submit survey questions and recruitment letter
  • Analyst will review
  • This project will qualify for an Exemption

29
Case Study 2
  • A student who works for a healthcare agency plans
    to conduct a patients records review, and
    present the grouped results in a poster
    presentation. It is pre-existing data and will
    not be recorded in such a manner that there are
    identifiers/links to the records. (Cannot
    include Protected Health Information (PHI)
  • Will this require IRB review?

30
Case Study 2 Contd...
  • The student will need to complete a Request for
    IRB Review application
  • Analyst will review
  • The project will qualify for an exemption with
    conditions

31
Case Study 3
  • A nursing student plans to conduct a focus group
    with some of his classmates regarding their
    experiences during their internship, and write an
    article for possible publication. The student
    has submitted the focus group consent form based
    on the IRB template, along with general aims of
    the questions to be asked.
  • Will this require IRB review?

32
Case Study 3 Contd
  • Student must complete IRB request for review
  • Because this is a focus group, the study does not
    qualify for an exemption, but it does qualify for
    an expedited review. IRB member will complete
    review and approval process

33
Case Study 4
  • A student wishes to conduct an oral history
    project about the experiences of Greek immigrants
    in Portland, and publicly archive the material as
    part of her thesis requirement. The student has
    filled out the IRB request for review and
    submitted the oral history consent form along
    with the protocol summary and general aims of her
    questions. The questions are minimal risk.
  • Will this require IRB review?

34
Case Study 4 Contd
  • The study does not qualify for an exemption, but
    it does qualify for an expedited review. An IRB
    member will complete the review and approval
    process.

35
Guidance on Informed Consent
  • Waivers/alterations of Informed Consent
  • When students apply for a waiver/alteration of
    informed consent, the rationale they provide
    makes a big difference!
  • Written consent is required, unless waiver
    criteria are met.
  • Under federal code, passive informed consent is
    not recognized.
  • Very specific criteria must be met!

36
Federal Waiver Requirements
  • 2 categories of federal regulations (45 CFR 46.
    116 117) that outline what qualifies for a
    waiver of informed consent

37
Federal Waiver Requirements Contd
  • An IRB may approve a waiver/alteration of IC if
    the IRB finds and documents one of the following
  • 1) the research or demonstration project is to
    be conducted by or is subject to the approval of
    state or local government officials and is
    designed to study, evaluate, or otherwise examine
    (i) public benefit or service programs, (ii)
    procedures for obtaining benefits or services
    under those programs (iii) possible changes in or
    alternative to those programs or procedures (iv)
    possible changes in methods or levels of payment
    for benefits or services under those programs
    and
  • 2) the research could not be practicably
    conducted without the waiver

38
Federal Waiver Requirements
  • Further, an IRB may approve a waiver or
    alteration of IC if the IRB finds and documents
    that
  • the research involves no more than minimal risk
  • the waiver or alteration will not adversely
    affect the rights and welfare of the subjects
  • the research could not practicably be carried out
    without the waiver or alteration and
  • whenever appropriate, the subjects will be
    provided with additional pertinent information
    after participation

39
Notification of Changes Required
  • Students need to send in changes/clarifications
    promptly and highlight the changes they make on
    the protocol/materials
  • Minor changes must be reviewed and verified prior
    to commencing research activities
  • If major revisions/clarifications are required,
    they will need to be sent out to the IRB
    revieweragain!

40
Final Remarks
  • Students, faculty, and the ORC working together
    in partnership will help us all manage the IRB
    process.

41
Useful Links
  • NIH Training Module
  • http//cme.cancer.gov/clinicaltrials/learning/hum
    anparticipant-protections.asp
  • Office for Human Research Protection
  • http//www.hhs.gov/ohrp/
  • Belmont Report
  • http//www.nihtraining.com/ohsrsite/guidelines/be
    lmont.html

42
Useful Links
  • Common Rule
  • http//www.hhs.gov/ohrp/policy/common
  • Declaration of Helsinki
  • http//www.wma.net/e/policy/b3.htm
  • Nuremberg Code
  • http//www.nihtraining.com/ohsrsite/guidelines/nu
    remberg.html

43
Useful Links Contd
  • CDC Human Subjects Research Page
  • http//www.cdc.gov/od/ads/opspoll1.htm
  • Ethical and Legal Aspects of Human Subjects
    Research on the Internet
  • http//www.aaas.org/spp/sfrl/projects/intres/main
    .htm
  • National Bioethics Commission
  • http//www.georgetown.edu/research/nrcbl/nbac/

Acknowledgement for Content Kathryn Kidder
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