Comprehending Research Misconduct and Malfeasance - PowerPoint PPT Presentation

1 / 22
About This Presentation
Title:

Comprehending Research Misconduct and Malfeasance

Description:

Fabrication, falsification, or plagiarism in proposing, ... Examples of Fabrication. Creating records of interviews that were never performed ... – PowerPoint PPT presentation

Number of Views:126
Avg rating:3.0/5.0
Slides: 23
Provided by: PAbbr
Category:

less

Transcript and Presenter's Notes

Title: Comprehending Research Misconduct and Malfeasance


1
  • Comprehending Research Misconduct and Malfeasance
  • Peter H. Abbrecht, M.D., Ph.D.
  • Medical Expert
  • Office of Research Integrity

2
Why be concerned about prevention of research
misconduct?
Advances in research depend on the reliability of
the research record. In clinical trials, the
research results may be the basis for life or
death decisions Sustained public trust in the
research enterprise requires confidence in the
research record and the processes Involved in its
ongoing development Occurrence of research
misconduct has serious consequences for all
involved respondents, co-workers,
complainants, institutions, sponsors, journals
3
What is research misconduct?
  • Fabrication, falsification, or plagiarism in
    proposing,
  • performing, or reviewing research, or in
    reporting
  • research results
  • Fabrication is making up data or results and
  • recording or reporting them.
  • Falsification is manipulating research
    materials,
  • equipment, or processes, or changing or
    omitting
  • data or results such that the research is
    not
  • accurately represented in the research
    record.

42 CFR Part 93.103
4
  • (c) Plagiarism is the appropriation of
    another persons ideas, processes,
  • results, or words without giving
  • appropriate credit.
  • (d) Research misconduct does not
    include honest error or differences of
    opinion.

42 CFR Part 93.103
5
Requirements for findings of research misconduct
  • There must be a significant departure from
    accepted practices of the relevant research
    community.
  • and
  • The misconduct must be committed intentionally,
    knowingly, or recklessly.
  • and
  • The allegation must be proven by a preponderance
    of the evidence.

42 CFR Part 93.104 (Proposed)
6
Not all allegations of misconduct in clinical
research meet the definition for Research
Misconduct
  • The distinction between research misconduct and
    other problems (such as protocol violations or
    fiscal malfeasance) is important because
  • (a) institutions have different mechanisms for
    handling the different situations
    (e.g.inquiry/investigation research misconduct
    process vs IRB oversight and corrective actions
    for protocol violations)
  • (b) reporting requirements (to oversight
    agencies such as ORI, OHRP, FDA, sponsors, etc)
    are different

7
Examples of Falsification
  • Substituting one subjects record for that of
    another subject
  • Altering dates and results from subjects
    eligibility visits
  • Altering results of laboratory tests
  • Backdating test or interview dates to fit
    protocol time window

8
Examples of Fabrication
  • Creating records of interviews that were never
    performed
  • Making up progress notes for patient visits that
    never took place and inserting them into the
    medical record
  • Preparing records for calls and follow-up
    contacts for participants who had already died

9
IRB, OHRP, FDA issues that are not research
misconduct(in the absence of falsification/fabric
ation)
  • Failure to report adverse event to IRB/sponsor
  • Protocol deviations (entering ineligible
    participant or using off-protocol drug)
  • Forging physicians signature on orders
  • Failing to obtain or properly document informed
    consent
  • Breaching human subject confidentiality

10
(No Transcript)
11
Some illustrations of instances of falsification
or fabrication in clinical records from cases
with PHS findings of research misconduct
12
Circumstances That Led to Misconduct Detection in
ORI Cases
Detection by co-workers or colleagues 14
Detection by an external quality control
group (data coordinating center, external
audit) 12 Discovery by direct supervisor or
graduate advisor 9 Detection by an
institutional quality control group (separate
from supervisor) 7 Detection by others
(patients or caregivers contacting the
appointment desk, IRB member noting
discrepancies) 3
13
Lessons From ORI Clinical Cases
  • Any person involved in clinical research may be
    responsible for scientific misconduct, regardless
    of rank or duties on the project
  • The majority of respondents in ORI clinical cases
    are in technical positions (not doctoral degree
    holders)
  • Many of these respondents worked with inadequate
    supervision or training
  • Respondents may have had excessive work loads or
    time pressure or pressure to enroll subjects

14
  • There are many different motivations for F / F
  • financial (enrollment or accrual bonuses)
  • professional advancement (papers,
  • grants, tenure, job promotion/change)
  • personal
  • misguided altruism
  • Falsification / fabrication may be accompanied
  • by sloppiness or carelessness in recordkeeping
  • Misconduct commonly discovered by
  • routine data audit
  • whistle blower
  • substitute staff member

15
  • Common areas of F/F include
  • protocol entrance criteria(date, lab, history)
  • biased randomization assignments
  • filling in missed data f/u visits, etc.
  • Interview protocols are at high risk for
    misconduct, especially if single interviewer
    and/or lack of adequate quality assurance
  • Both scientific misconduct and violations of
    human subjects protection may occur in the same
    clinical activity
  • In such cases all oversight agencies involved
    (ORI, OHRP, FDA, IRBs, etc.) work together

16
Suggestions for Preventing and Identifying
Scientific Misconduct
  • The P.I., Lab director, etc. must establish a
    climate in the lab in which scientific integrity
    (and the reasons for it) are emphasized
  • All staff must be thoroughly trained in integrity
    principles and in conducting their portion of the
    protocol
  • The P.I. and other supervisors must maintain
    strong communication with staff and a presence
    in the study setting, verifying personally at
    least a sampling of the research records

17
  • Staff should be questioned about data alterations
    in the research record (overwrites, erasures,
    whiteouts, changes in electronic records)
  • If possible, in interview studies request
    informed consent to recontact the patient for
    quality control reasons, and follow up with a
    sampling of these patients
  • Keep staff work loads reasonable
  • Protocols should be designed with realistic
    requirements that can be met by both staff and
    patients

18
  • Protocol research forms should be as simple as
    possible, yet with clear designation of the
    required information
  • In continuing studies, if possible, train more
    than one staff member to do follow-up

19
  • Any alterations on data forms must be done by
    striking through the original entry (no whiteout
    or writing over) and initialing and dating the
    new entry
  • Copies of all laboratory reports should be
    retained by originating facility (to be spot
    checked on routine and special audits)
  • Protocol sponsors should attempt to avoid paying
    bonuses based on number of patients enrolled

20
PARTIAL LISTING OF INVESTIGATOR COMMITMENTS FDA
Form 1572(for studies requiring FDA approval)
  • to conduct the study in accordance with the
    relevant, current protocol
  • personally conduct or supervise the described
    investigation
  • ensure that all associates, colleagues, and
    employees assisting in the conduct of the studies
    are informed about their obligations in meeting
    the above commitments
  • maintain adequate and accurate records in
    accordance with 21 CFR 312.62

21
Detecting and Handling Possible Scientific
Misconduct in Clinical Research
  • On routine audits, be alert for possible clues of
    F / F on clinical records (white outs,
    overwritten data, numbers out of physical
    alignment, errors in form completion)
  • Prompt sequestration of records if
    suspicion/allegation of scientific misconduct

22
  • ORI Guidelines for Handling Allegations of
    Scientific Misconduct in Clinical Research
    (currently in draft form)
  • ORI can provide assistance to institutions
    assessing possible scientific misconduct through
    its Rapid Response Technical Assistance (RRTA)
    program
Write a Comment
User Comments (0)
About PowerShow.com