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Protecting Human Subjects

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Protecting Human Subjects & Ethical Conduct of Clinical Trials: * * * * * * * * * * * * * * Note that these all relate to documentation. * Again documentation is the ... – PowerPoint PPT presentation

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Title: Protecting Human Subjects


1
The Challenges of Developing Biologics /
BiogenericsBioengineering, the future of
healthcare.
  • Protecting Human Subjects Ethical Conduct of
    Clinical Trials

2
Presentation Overview
  • A Historical Overview
  • What events make this topic important
  • Whats Good Whats Concerning
  • Driven by good intentions , but is balance
    shifting
  • What should we do?
  • Understand , Participate, Do the right thing

3
  • We can not judge what is right to do now without
    knowing what has gone before. Thomas Berger
  • Thomas Berger
  • Who sees things develop from their origin ,sees
    them better.
  • Aristotle

4
Why is this of concern to you?
International Business Development, Investment
Innovation (BFM) Foreign Affairs and
International Trade Canada Bradley.millson_at_interna
tional.gc.ca
5
  • The biotech spring arrives in Barcelona
  • March 8, 2010 951am ET By John Carroll
  • Free newsletter via e-mail
  • BARCELONA -- The theme here at BIO-Europe Spring
    2010 is a new season for growing collaborations
    between Big Pharma and Little Biotech. And the
    key for developers is being able to fuel drug
    discovery programs in an environment where
    there's less cash on hand to fertilize the crops.
  • Straight in-licensing is out, say the Big Pharma
    companies. Collaborating with biotech companies
    in the hope of exchanging cash for an injection
    of entrepreneurial enthusiasm and innovation--all
    while managing major internal reorganizations--is
    in.

6
Goals
  • Reduce development time
  • Cut development costs
  • Meet product life cycle timelines
  • Quick approvals
  • Market access
  • Survival

7
RETURN ON EXECUTION
  • Execution is the name of the game .
  • If we told you that defining your strategy only
    accounts for 15 of your financial performance as
    it relates to your competition, the next question
    would be What is the real difference maker?.
    The answer is execution. Its been validated over
    and over again - those who execute better win.
  • In todays world, its very hard to have any
    sustained competitive
  • advantage from superior strategies alone. Its
    easy to copy a competitors strategy, but much
    more challenging to keep pace with a competitors
    high performing execution. Improved business
    performance is not just about leadership and
    management discipline it is heavily dependent on
    execution.

Eric Berggren and Lars Dalgaard
8
Institutional Review Boards Under Stress Will
They Explode or Change?
  • 40-80 new proposals per meeting( up to 6 hours)
  • Massive amount of paperwork
  • OPRR pressures above and beyond Regulations
  • Lack of reward or recognition for Board Members
  • IRB Cost to Institution

JAMA Nov.27,1996-Vol.276 No20.
9
Recommendations back then..
  • Review protocols only after funding in place
  • Expand expedited reviews
  • Decrease excessive and non productive activities
  • Establish primary reviewer system
  • Record (tape) minutes, computerize
  • Double the effort. More boards ,more meetings
  • Pay members
  • Outsource

10
Why do we need ethics review boards?
  • Major resource requirement
  • Almost everything eventually approved
  • Process is seen as too slow
  • Is not everyone involved protecting human
    subjects
  • Who is the REB protecting
  • How can this be measured

The Michael Smith Foundation for Health Research
(2008) B.C. Ethics Harmonization Initiative
Introductory Workshop Report on Proceedings.
Vancouver MSFHR.
Greg Koski, PhD, MD, CPI Harvard University,
11
What do we expect from the REB ?
  • We propose that the following objectives should
    be met by any adequate ethics review system
  • Respect the dignity and rights of research
    participants
  • Protect the safety of all research
    participants, as much as it is possible to do so
  • Build and maintain trust between the
    researchers, research institutions , research
    participants, and society as a whole
  • Promote potentially beneficial research
  • Promote safe and effective research
  • Analyse, balance and distribute harms and
    benefits
  • Pursue all of the above in a way that is
    administratively and financially efficient and
    fair

REVISIONING THE OVERSIGHT OF RESEARCH INVOLVING
HUMANS IN CANADA by Jocelyn Downie and Fiona
McDonald Health Law Institute Journal
12
REB challenges-Today.
  • Volume of research has increased and greatly
    expanded outside academic centres
  • Paperwork has not gone away and cost of going
    paperless is formidable
  • Regulations and Guidelines have increased
  • Cost recovery in most institutions is impossible
    ( High volume board -770,000/year)
  • Full cost of accreditation is big

13
Academic Boards
  • Administrative challenges remain
  • Volume will increase
  • Industry supported research may go down
  • Compliance costs will increase
  • Balance Internal vs External Research
  • Unlikely that academic boards will extend their
    services outside their walls

14
Regional /Provincial Boards
  • Administrative cost/resource issues
  • Second tier issues remain
  • Creates disincentive for Canada
  • Are ethical standards really determined by lines
    on a map?
  • Alberta experience
  • Quebec experience
  • OCREB
  • Who will pay

15
Central Boards Private ,Federal and Specialized
  • Are they really different?
  • Are they efficient?
  • Are they the solution?
  • The Boards they operate are no different
  • Their operations ( administratively) need to be
    very different

16
What does Canada need ?
  • REBs that all meet the highest standards
  • Academic centres will need their own REB, may
    look at outsourcing some research review or
    outsourcing administrative aspects
  • Smaller institutions will look at outsourcing
  • Special approaches (OCREB) can work IF they
    provide Value
  • Quebec has streamlined some approvals
  • Private REBs continue to play important role

Choice
17
Sponsor wish list?
  • Low overheads
  • 90 research completed in academic centres
  • No ethics fees
  • No long ethics delays
  • Clear concise patient consent
  • Quick resolution of contracts
  • Collaborative spirit from all stake holders
  • Studies start and finish on time

Was I just remembering 1985?
Or ..
18
More Recent events
  • EU Regulations
  • Privacy laws
  • TCPS
  • FDA Inspections
  • OHRP
  • Canadian Inspectorate
  • Accreditation

19
Case 1.
  • January 24, 2002
  • CLINICAL TRIALS
  • The Office of Human Research Protections (OHRP),
    temporarily shut down most of the 2,400 federally
    funded human clinical trials at Johns Hopkins,
    pending a university plan targeting problems
    identified by OHRP.
  • Those problems included charges that the Johns
    Hopkins Institutional Review Board (IRB) was
    not considering each proposal thoroughly enough.
  • OHRP eased the suspension in July after reviewing
    the Hopkins corrective plan, although the office
    ordered that the majority of clinical trials be
    reviewed again before continuing.

20
What happened.
  • Inspection prompted by death of research subject
    in federally funded study
  • IRB part of the inspection
  • Led to inspections of other institutions
    receiving federal funds for research

21
Case 2
22
Coast FAQ.
  • Have you been audited by the FDA? December
    15-17, 2003 - Coast IRB was selected for a
    routine surveillance inspection. We received
    commendation from the FDA Investigators regarding
    the thorough and effective oversight provided by
    our IRB operations. A follow-up audit was
    conducted in 2005 at which time no further action
    was required by the FDA investigator.

23
What happened?
  • Sting Operation by GOA target 3 private IRBs
  • Also set up phoney IRB
  • Fake protocol , fake device, poor CIB
  • Set up fake company phone number etc.
  • Used name of actual physician but changed middle
    initial, provided false CV
  • 1/3 IRB approved study with minor modifications
  • Coast subsequently reported concerns ( but too
    late)

24
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25
Case 3-Ketec
  • 1,800 site study -24000 patients.
  • Monitor reported concerns at top site to CRO
  • Monitor also called IRB
  • Sponsor /CRO/Monitor conference call
  • Sponsor investigated GCP deviations at site
  • Data from study submitted to FDA
  • FDA inspection revealed fraud at this site.
  • Subcommittee Hearings Feb 2009

26
Outcome
  • Academic Boards implemented changes
  • Coast is gone ( about 25 people lost their jobs)
  • Investigator in Ketec study sent to prison and
    debarred from further research

27
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28
Warning Letters
  • 1. The IRB approved research without determining
    that the following criteria were met that risks
    to subjects were minimized 21 CFR 56.111(a)(1)
    and risks to subjects were reasonable in relation
    to anticipated benefits,
  • 2. Specifically, the IRB has no written
    procedures for conducting reviews of device
    studies to determine whether they involve a
    significant risk device
  • 3. The IRB failed to ensure that informed consent
    would be sought from each prospective subject or
    the subject's legally authorized representative
    in accordance with and to the extent required
  • 4. The IRB failed to ensure that no member
    participated in the initial or continuing review
    of a project in which the member had a
    conflicting interest,
  • 5. The IRB failed to conduct continuing reviews
    for the following IRB approved studies

29
Continued
  • 7. The IRB failed to prepare and maintain the
    minutes of IRB meetings in sufficient detail to
    show attendance at the meetings actions taken by
    the IRB the vote on these actions including the
    number of members voting for, against, and
    abstaining
  • 6. The IRB failed to maintain copies of all
    research proposals reviewed, scientific
    evaluations, if any, that accompany the
    proposals, approved sample consent documents,
    progress reports submitted by investigators
  • 8. Each IRB is required to have at least five
    members, with varying backgrounds to promote
    complete and adequate review of research
    activities

30
Other REB Warning Letters 2009
  • We note that the IRB reviewed and approved only
    three general hospital consent forms for
    procedures related to Project 1125. None of these
    consent forms complied with the requirements of
    21 CFR Part 50.25.
  • b. Our inspection revealed the informed consent
    form approved by the IRB for Project 1121 did not
    include an explanation of whom the subject should
    contact for questions about their rights as a
    research subject, or whom to contact in the event
    of a research-related injury as required by 21
    CFR 50.25(a)(7). (b) (6)
  • Our inspection revealed five instances in which
    an IRB member, who was serving as the clinical
    investigator for a particular research study,
    voted on the initial or continuing review of that
    study.
  • The IRB written procedures require that
    information, including copies of schemas of all
    proposals on the agenda, be sent to IRB members
    prior to the meeting. The meeting minutes
    indicate members were mailed outlines and consent
    forms for new proposals prior to the meeting, but
    our inspection revealed that IRB members were not
    provided copies of protocol schemas for new
    proposals for the IRB meetings of February 7,
    2007 and November 1, 2007.

31
Further findings
  • Specifically, the IRB does not have written
    procedures for reporting IRB findings and actions
    to the institution as required by 21 CFR
    56.108(a)(1), and does not have written
    procedures for determining which projects require
    verification from sources other than the
    investigator that no material changes have
    occurred since previous IRB review as required by
    21 CFR 56.108(a)(2).
  • The IRB meeting minutes for November 1, 2007,
    indicate that the membership of the IRB consisted
    of ten voting members and three ex-officio
    (non-voting) members. Accordingly, a minimum of
    six voting members were required to be present at
    the meeting to review proposed research. Our
    inspection revealed that the IRB reviewed and
    approved research at the November 1, 2007, IRB
    meeting with only five voting members present.
  • Our inspection revealed the minutes for the
    November 1, 2007, IRB meeting do not list Project
    1051 as being reviewed for continuing review.
    However, the IRB files for Project 1051 contain
    an IRB re-approval letter and a progress report
    signed by the IRB Chair as approved at the
    November 1, 2007 IRB meeting.

32
CR-2008
  • 1. You failed to protect the rights, safety, and
    welfare of the subjects under your care, and you
    failed to conduct the investigations according to
    the investigational plan, the signed investigator
    statement, and applicable regulations, including
    Part 50. 21 CFR 312.60.
  •  
  • A. You enrolled 21 indigent persons from a
    multi-service center for the homeless into either
    study (b)(4) or (b)(4) Only after enrolling
    eight of these subjects, you received approval
    from the Institutional Review Board (IRB) to
    enroll vulnerable subjects, as described below.
    Regardless of the IRB's decision to approve the
    enrollment of vulnerable populations, persons
    utilizing the multiservice center for the
    homeless were unsuitable for consideration for
    these studies for many reasons, including, but
    not limited to the following
  • i. These individuals were unsuitable because they
    were economically and/or educationally
    disadvantaged. Some subjects could not understand
    or follow the protocol requirements.

33
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34
News related to Accreditation and EU Clinical
Trial Directive
By Marianne Vanderwel, Director, Human Research
Protection Program IRB Services
35
What is Accreditation all about?
  • PEERH program for ensuring the ethical research
    involving humans
  • Process
  • Gap analysis
  • Application
  • Site Visit
  • Granting Accreditation
  • Annual reports
  • Re-accreditation

36
AAHRPP
  • Association for the Accreditation of Human
    Research Protection Programs
  • Offers accreditation to research organizations
    that provide comprehensive protections to
    research participants
  • Process is voluntary, peer-driven, and educational

37
AAHRPP Accreditation Standards
  • Accreditation Standards
  • First set of standards released in 2002
  • Input sought from accredited organizations- 2008,
  • Public consultation on draft revisions- 2009
  • Revised Accreditation Standards- March 2010
  • Evaluation Instrument for use with the revised
    Accreditation Standards published

38
Revised Accreditation Standards
  • The revisions
  • Clarify language
  • Combine, create or delete elements
  • Organize the sequence
  • Apply to research in any country
  • Apply to biomedical or social science research
  • Emphasize continuous quality improvement
  • Strengthen identification and management of
    financial conflict of interest
  • Elevate importance of resources for the HRPP

39
Additional Resources
  • Also available at www.aahrpp.org
  • Evaluation Instrument
  • Application forms and guidance
  • Tip Sheets
  • Fee schedule

40
EU Clinical Trial Directive
  • Since 2004, clinical trials performed in the EU
    are regulated by the Clinical Trials Directive
    (2001/20/EC)
  • Volume 10 on clinical trials (EudraLex) includes
  • ICH E6 GCPs
  • Detailed guidance on the application format and
    documentation to be submitted in an application
    for an Ethics Committee opinion on the clinical
    trial on medicinal products for human use
  • Ethical considerations for clinical trials on
    medicinal products conducted with the pediatric
    populations

41
Public Consultation on Key Issues
  1. Multiple and divergent assessment of clinical
    trials
  2. Inconsistent implementation of the Clinical
    Trials Directive
  3. Regulatory Framework not always adapted to the
    practical requirements
  4. Adaptation to peculiarities in trial participants
    and trial design
  5. Ensuring compliance with GCP in other countries

42
Some of the proposed options
  • One-stop shop for regulatory authority and Ethics
    Committee review
  • Clarify the scope of the assessments by
    regulatory authorities and Ethics Committees
  • Clarify the reporting of SUSARs
  • Excluding academic sponsors from the rules of
    the Clinical Trial Directive

43
Some extracts -UK Response
  • The MHRA
  • Does not support a one-stop shop for regulatory
    authorities and Ethics Committees
  • Proposes that the Directive set out the
    respective responsibilities of regulators and
    Ethics Committees
  • Supports clarification of the rules on SUSAR
    reporting and supports removal of the requirement
    for sponsor to provide SUSARs and annual safety
    reports to Ethics Committees
  • Strongly opposes the complete exclusion of
    academic or non-commercial trials from the scope
    of the Directive

44
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