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Running a Successful Clinical Trial

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Title: Running a Successful Clinical Trial


1
Running a Successful Clinical Trial
  • GCP Standards Investigators
  • Need to Know

John Farley, MD, MPH Center for Clinical Trials
2
Good Clinical (research)Practices (GCPs)
  • International ethical and scientific quality
    standards for designing, conducting, recording,
    and reporting trials that involve the
    participation of human subjects.
  • Purpose
  • Protect human subjects during clinical studies
  • Protect patients who might receive approved
    products in the future
  • Not just one document
  • Several different components which vary by
    country and research setting

3
Components of GCPs at UMB
  • 45 CFR (Code of Federal Regulations) part 46
    applies to all institutions receiving federal
    funds for research (ex. NIH grants) (Office for
    Human Research Protection (OHRP))
  • 21 CFR parts 11, 50, 54, 56 and 312 applies to
    all research involving investigational drugs or
    devices (Food and Drug Administration (FDA))
  • UMB policies

4
Components of GCPs at UMB
  • International Conference on Harmonization
    (international standards) (ICH) major sections
    published in the Federal Register representing
    FDA current thinking)
  • Section E2A, Guideline on Clinical Safety Data
    Management published Federal Register March 1,
    1995
  • Section E6, Good Clinical Practice Consolidated
    Guideline published Federal Register May 9, 1997
  • IF REGULATIONS/GUIDELINES NOT CONSISTENT, CHOOSE
    THE MOST CONSERVATIVE OPTION.

5
Scope of 21CFR
  • Applies to all clinical investigations regulated
    by the Food and Drug Administration (FDA) under
    the Federal, Food, Drug, and Cosmetic Act as well
    as clinical investigations that support
    applications for research or marketing permits
    for products regulated by the FDA (research
    usually conducted under IND, IDE).

6
Investigator Responsibilities
  • Sponsor shall select only investigators qualified
    by training and experience.
  • Investigators must sign the FDA 1572
  • Conduct study per protocol (exception safety of
    subjects)
  • Personally conduct or supervise investigation
  • Inform all potential subjects that drugs are
    investigational and obtain proper informed
    consent
  • Report to the sponsor adverse experiences
  • Has read and understands Investigators Brochure
  • Ensures all other study staff are informed of
    their obligations
  • Sponsors obtain other verifying documentation
    (CV, Financial Disclosure)
  • (21CFR 312.53)

7
More on Investigator Responsibilities
  • Ensuring that investigation is conducted in
    accordance with investigational plan and
    applicable regulations
  • Protect the rights, safety, and welfare of
    subjects
  • Control of drugs under investigation
  • Obtain informed consent
  • (21CFR312.60)

8
Investigator Record Keeping
  • Adequate records of the disposition of the drug.
  • Maintain adequate and accurate case histories.
  • Retain records for 2 years after a marketing
    application is approved.
  • Furnish progress, safety, and financial
    disclosure reports to the sponsor
  • (21CFR 312.62, 312.64)
  • Must permit inspection of records and reports
    (including copying) by an officer of the FDA
  • (21CFR 312.68)

9
Investigator Financial Disclosure(21CFR54)
  • Investigator Financial Disclosure Insures steps
    are taken to minimize potential bias
  • What 21CFR54 says must be disclosed
  • Compensation affected by outcome of clinical
    studies
  • Significant equity interest in sponsor of a study
  • Proprietary interest in the tested product
  • Significant payments of gt US25,000. exclusive
    of the costs of conducting the study
    (unrestricted research grants, honoraria)
  • QUESTIONS? contact Mr. Joe Giffels, UMB
    Compliance Officer, at x6-6631,
    joegiffels_at_ordmail.umaryland.edu

10
Incentives are NOT allowed under UMB policyAn
incentive is a monetary payment or other gift
which UMB, an investigator, nurse coordinator,
research coordinator, or other staff member
receives from the sponsor of a clinical study
which is contingent upon meeting a particular
productivity standard. Ex. An additional 500
payment sent to an investigator for each patient
entered onto a study within 90 days of study
initiation. This payment would be above and
beyond the contractually obligated per patient
amount. Ex. A gift certificate offered to a
nurse coordinator for every additional subject
entered onto a study beyond a certain minimum
number.
11
Who Is the Sponsor
  • The sponsor of a study (to whom the IND is
    issued) has extensive obligations under 21CFR314
    (e.g. study monitoring, adverse event and other
    reporting to the FDA)
  • Usually, the pharmaceutical company or NIH will
    hold the IND and have the sponsor
    responsibilities.
  • In investigator-initiated studies, you as the
    investigator may hold the IND and also have all
    the sponsor responsibilities.

12
Sponsor Site Monitoring
  • Act of overseeing the progress of a clinical
    trial
  • Ensures study is conducted, recorded, and
    reported in accordance with
  • Protocol
  • Standard Operating Procedures
  • Good Clinical Practices
  • Applicable regulatory requirements
  • (ICH E6 5.18 21CFR312.56)

13
GCPsPre-Study, Screening, and Enrollment
14
Pre-Study To Do List
  • IRB Submission
  • Develop recruitment materials (must be IRB
    approved)
  • Develop Inclusion/Exclusion Checklist to use for
    screening/enrollment
  • Develop Regulatory Binder for the study (see next
    slide, some of these documents must be submitted
    to the sponsor (reg docs))
  • Plan protocol implementation (physician
    investigator contact procedure, drug storage and
    dispensing plan, visit logistics, specimen
    processing plan, etc., etc.)
  • Site registration following IRB approval

15
Regulatory Binder (Essential Documents, ICH E6
8.2)
  • Protocol (current version)
  • Investigators Brochure (current version) or
    package insert copy
  • 1572 (up to date) (1571 if PI is IND Sponsor)
  • CVs of PI and Co-Investigators, Human Subjects
    Training Certificates, other credentials
  • Clinical Investigator Financial Disclosure Forms
  • Drug Data Sheet
  • Letter re IRB membership and assurance
  • Standard Operating Procedures (SOPs) for this
    protocol at this site (source doc procedures
    etc.)
  • Emergency Un-blinding Procedure

16
Regulatory Binder (cont)
  • IRB Correspondence (approvals, modification
    requests, AE reports)
  • Site Quality Assurance records of activities
  • Site Monitor Reports and DSMB Reports
  • Normal lab values for the lab and tests you will
    use
  • CLIA certification for lab (if sponsor requires)
  • Correspondence with sponsor, FDA, others
  • Staff signature and initials log
  • Screening/Enrollment log
  • As the study proceeds, file external adverse
    event reports and IND safety reports with the
    current Investigators Brochure.

17
  • A multi-center trial is planned to determine the
    safety of Varicella vaccine administered to
    HIV-infected children with a history of severe
    immune suppression who now have reconstituted CD4
    counts.
  • Inclusion requirements
  • A CD4 count gt 350 within 60 days of enrollment
  • A negative cytotoxic T lymphocyte assay for
    varicella antigen
  • Can any of the lab tests be done prior to IRB
    approval?
  • Can any of the lab tests be done prior to
    informed consent?
  • What documentation is recommended at the time of
    enrollment?

18
Consent and Screening - 1
  • NEVER use an outdated Informed Consent Form or
    one that is not IRB approved (45CFR46 SubpartA,
    21CFR50.27).
  • NEVER perform any invasive screening procedures
    prior to Informed Consent (an initial Screening
    Consent is acceptable if IRB approved) (45CFR46
    Subpart A, 21CFR50.20).
  • Document the Informed Consent process in a
    progress note in the research record
    (recommended).

19
Consent and Screening - 2
  • Consent Caveats
  • If required by protocol or IRB, document ability
    for subject to give informed consent using
    Evaluation to Sign Consent or Mini-Mental
    instrument and file in subject research chart
    (45CFR46.107(a),111(a) ,ICH E6 4.8.12).
  • If the subject is not competent to consent,
    document in a note the relationship of the
    surrogate guardian to the subject and why they
    are consenting for the subject (ICH E6 4.8.12).
    Follow protocol specific IRB approved procedures.
  • Follow Maryland law re hierarchy of
    guardianship.
  • If a legal guardian consents for the subject,
    have copy of proof of legal standing (example
    adoptive parent of a child) in research record
    (ICH E6 4.8.12).

20
Consent and Screening - 3
  • More Consent Caveats
  • For children, document consent of parents (both
    may be required) and assent of children (verbal
    age 7-12, written signed Assent Form age 13-18 at
    UMB) (special requirements for wards of the
    state). (45CFR46 Subpart D)
  • NEVER enroll a prisoner unless the protocol is
    specifically approved for prisoner participation.
    (45CFR46 Subpart C)
  • If the study involves pregnant women and the
    prospect of benefit is solely to the fetus and
    not the mother, consent of the biological mother
    and father is REQUIRED unless father is not
    reasonably available, identity or whereabouts
    cannot be ascertained, or pregnancy resulted from
    rape. (45CF46 Subpart B)

21
Consent and Screening - 4
  • More Consent Caveats
  • The subjects must sign AND date the Consent
    themselves. If they are unable to do this, a
    witness (who is not involved with the study and
    not the person obtaining consent) can sign and
    date to verify the subjects mark. (ICH E6 4.8.8
    and 4.8.9)
  • For non-English speaking subjects, a translated
    Consent if usually required by the IRB.
  • All those signing the Consent must sign and date
    themselves. All dates must be prior to any
    invasive screening procedures. (ICH E6 4.8.8)

22
Consent and Screening - 5
  • Maintain a Screening/Enrollment Log to
    demonstrate the absence of enrollment bias (store
    in Essential Documents Binder) (ICH E6 8.2.18)
  • Initials of all patients screened (if they have
    singed a HIPAA release)
  • PID (if patient receives one)
  • Date Screened
  • Date Randomized (indicate specific reason if not
    randomized)

23
Consent and Screening - 6
  • Double lock the patient identification number
    (PID) and name link (HIPAA, ICH E6 4,8,10).
  • File the original Consent in the research record
    and a copy in the patients medical record (place
    on inpatient chart if admitted). (req by UMMC)
  • Give a copy of the Consent to the subject (ICH E6
    4.8.11).
  • Create an individual research record
    (recommended)
  • Complete Inclusion/Exclusion checklist, sign and
    date it, and file in the research record (ICH E6
    4.6.5, 4.7).

24
Consent and Screening - 7
  • If special requirements are required of the
    subjects (for example not of childbearing
    potential or two methods of contraception),
    document in a note in the research chart that
    this was reviewed with the subject and
    specifically how the subject will comply). (ICH
    E6 4.5)

25
GCPsStudy Records
26
  • Definitions Source Documents (Source Doc)
  • Original (medical) records including hospital
    records, clinics visit records, lab reports,
    memos, subject diaries, evaluation checklists,
    pharmacy records, recorded data from automated
    instruments, radiology reports and X-rays, etc
    related to the study.

27
  • Definitions Research Record
  • Often,a separate research record is maintained in
    addition to the patient medical record, however
    the original is always the source doc and a site
    monitor will need to see the source doc. A
    separate research record is recommended if the
    medical record is stored in a remote location not
    under the control of research staff. SOPs
    regarding this are sponsor specific.

28
  • Definitions Case Report Form (CRF)
  • A standardized form used to abstract study data
    from the source doc and report it to the sponsor
    data management center. All data reported on the
    CRF must exactly match the source doc and be
    verifiable using the source doc alone. (ICH E6
    4.9.2).

29
  • Documentation Guidelines Every person making an
    entry must sign and date the document and should
    be on the signature/initials log.
  • NEVER obliterate. Correct errors with single
    line, initial, date. (ICH E6 4.9.3)
  • If serial evaluations or entries in a note, write
    the time.
  • Follow-up on the status of diagnoses at the prior
    visit.

30
Study visit 3 activities / CRF data list the
required source doc
  • Subject arrives, varicella vaccine is
    reconstituted in the pharmacy
  • CRF history negative for local site reactions,
    rash, fever post vaccine 1.
  • CRF PE negative for fever, skin lesions
  • Vaccine 2 is administered
  • Blood drawn for CTL assay to varicella antigen
    and CD4 count
  • Adherence to concomitant medications interview
    completed
  • Subject is observed 2 hours in the clinic and
    then PE above repeated.
  • Parent is phoned 48 hours later and queried re
    fever, local site reactions

31
There must be source doc for everything
  • Dispensing of additional study drug,
    administration of study vaccine
  • Completion of questionnaires or instruments
  • Venipunctures or injection (include how
    tolerated)
  • Follow-up observations in clinic or phone calls
  • Patient compliance with protocol requirements
    (for example fasting or not taking other meds)
  • The absence of complications or events
    specifically asked for on the CRF
  • Required laboratory tests obtained (or missed)
  • Develop checklists or use a copy of the CRF
    (signed and dated) as source doc if needed.

32
Electronic Documents and Signatures (21CFR11),
Faxes
  • Electronically signed documents as source doc
    UMMS Radiology/Laboratory Reports and new scanned
    medical records are fully compliant with 21CFR11
    requirements. UMMS Discharge Summary/Dictated
    Report system is not compliant. For those
    records, obtain written signature and date
    (hybrid system).
  • Emails are not compliant with 21CFR11. If used
    as source doc, they must be printed. Obtain
    written signature and date, but maintain original
    email electronically.
  • Know the sponsor SOPs re faxed copies.

33
GCPs Adverse Event Monitoring and Reporting
34
  • Three days after receiving study vaccine, the
    child is admitted to the hospital after an
    apparent seizure at home which resolved
    spontaneously after about 5 minutes time. Mental
    status was normal on admission.
  • What are the investigator/study staff
    responsibilities?

35
Adverse Event
  • An untoward medical occurrence in a subject
    enrolled in a clinical investigation involving
    administration of a drug or device. Does NOT
    necessarily have a causal relationship with the
    research drug or device. May or may not be
    expected. Includes laboratory abnormalities.
  • Adverse events need to be evaluated by the
    investigator and reported to the sponsor within
    specified time periods (ICH E6 4.11.1,2 and E2A)

36
  • Be sure to document (and report to sponsor if
    required) possible adverse events at study visits
    or as the study staff is aware.
  • Grade all laboratory reports using protocol
    toxicity tables. Follow appropriate action
    outlined in the protocol and document the action.
  • Use a log to follow-up on adverse events.
  • When in doubt, report to sponsor.

37
Is an Internal Adverse Event a Serious Adverse
Event (SAE)?
  • Definition
  • Results in death
  • Life-threatening
  • Requires or prolongs hospitalization
  • Results in persistent/significant
    disability/incapacity
  • Congenital anomaly/birth defect
  • OR action on the part of a physician is necessary
    to avert any of the above
  • (ICH E2A)
  • Some sponsors/protocols include Grade III and IV
    laboratory abnormalities as requiring expedited
    reporting

38
Serious Adverse Events
  • A SERIOUS Adverse Event is a regulatory, not
    clinical definition
  • Reporting for SAEs is expedited.
  • Industry standard is to report all SAEs within 24
    hours to the sponsor who then must report to FDA
    within 7 days (death, life-threatening) or 15
    days (other SAE).
  • Also notify UMB IRB within 48 hours (if deemed
    protocol related by the investigator).
  • (ICH E2A 21CFR312.32)
  • Adverse events not meeting the definition of an
    SAE or felt by the investigator not to warrant
    expedited reporting are usually reported by CRF.
    (If in doubt, report as an SAE).

39
IND Safety ReportsExternal SAEs
  • External Adverse Events (occur at other sites)
    are reported by the sponsor to other
    investigators as IND Safety Reports
  • Summaries sent from sponsor to other sites on a
    periodic basis (within 15 days if SAE).
  • Must be assessed by the PI and may need to be
    reported to UMB IRB.
  • PI and IRB must decide if report of External AE
    impacts risk/benefit for subjects at this site
    and if so, decide on course of action.
  • Intended as addenda to the Investigators
    Brochure.
  • (21CFR312.32)

40
UMB IRB Policy re External SAEs
  • must be reported only if they are both serious
    and unexpected and probably related to the
    research.
  • Use SAE Reporting Form in BRAAN
  • If is reportable to our IRB, it is likely that a
    Protocol Modification or Amendment (change in
    procedure, addition of risk to the ICF) is needed
    as well.

41
GCPsMisc. Study Conduct Issues
42
Quality Assurance
  • Quality Assurance (Conduct at least weekly)
  • Verify inclusion/exclusion criteria met for new
    enrollees.
  • Compare source doc and CRF for consistency.
  • Be sure all documentation is signed and dated,
    proper corrections.
  • Be sure all required activities completed at the
    visit, if not document reason.
  • Verify that there are no missed AEs, clinical
    events, or study endpoints.
  • Verify AEs, enrollment/protocol
    violations/deviations reported

43
Study Drug Accountability
  • Drug/Device Dispensing Accountability
  • Maintain a dispensing log (if a
    medication/vaccine is reconstituted, log must
    note time and date reconstituted)
  • Shipping receipt
  • Script or order for dispensing drug on file
  • Storage requirement compliance documented
  • NEVER administer study med without a physician
    order or prescription. Maintain record of
    physician orders to administer.
  • Consider using the UMMS Investigational Drug
    Service (x87748)

44
Approval Lapses
  • What if IRB approval for the protocol lapses
    (even passively due to late renewal submission)?
  • All protocol-related activity involving subjects
    must cease until approval is renewed.
  • Exception Protocol-related activity necessary
    for patient care (example- a blood test to
    monitor for adverse effects of study drug).
    However, must obtain written permission from the
    IRB Chair.
  • What if the sponsor or the FDA puts the study on
    hold?
  • Notify the IRB immediately and include reason.
  • See above.

45
FDA Site Inspections
46
FDA Inspections
  • Are Conducted
  • At high enrolling sites or sites with unusual
    data during the final stage of NDA review
  • For cause
  • Inspector must present Notice of Inspection
    Form Form FDA 482
  • Inspector may write Inspectional Observations
    Form FDA 483
  • INVESTIGATOR SHOULD NOTIFY THE IRB IMMEDIATELY IF
    A NOTICE OF INSPECTION IS RECEIVED.

47
FDA Inspectors
  • Give short notice of visit to site investigator
  • Become suspicious of any attempt to delay
    inspection
  • Bring a list of other studies performed by
    investigator
  • May question any site staff member
  • May make copies of study documents

48
Resources for Investigators and Research Staff
49
Learn even more about GCPs
  • Association of Clinical Research Professionals
    (ACRP)
  • www.arcpnet.org

50
Campus Resources
  • UMB Office for Research Subjects (IRB)
  • http//medschool.umaryland.edu/ors ,6-5037
  • Susan Buskirk, IRB Program Manager
  • (6-4937, sbuskirk_at_som.umaryland.edu)
  • VA Hospital
  • Julie Doherty, Research Compliance Officer
  • (5-6512, jdohe001_at_umaryland.edu)

51
Campus Resources
  • GCRC
  • Kathy Palmer, Research Subject Advocate
  • (8-7248, kpalmer_at_medicine.umaryland.edu)
  • SOM Center for Clinical Trials
  • http//www.umaryland.edu/cct/index.html, 6-2328
  • John Farley, Medical Director Jfarley_at_som.umarylan
    d.edu
  • Sue Hines, Research Nurse Manager
    shines_at_som.umaryland.edu

52
Conclusion
  • The interest of science should never take
    precedence over the well-being of the subject.
    Declaration of Helsinki
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