Title: Youre In Charge: Investigator Responsibilities
1Youre In Charge InvestigatorResponsibilities
- Merrill J. Egorin, M.D.
- University of Pittsburgh Cancer Institute
Modified slightly from the 2007 talk given
by Stephen M. Hahn Department of Radiation
Oncology University of Pennsylvania Philadelphia,
PA (I am not sure why he is not doing it this
year, but I have been told that no one should
have to do this talk more than once.)
2Exposures Disclosures
- I have the following financial relationships to
disclose - Consultant for Novartis, Bristol-Myers Squibb,
Saladax, Amplimed, Adherex - Grant/Research support from Novartis,
Bristol-Myers Squibb, , Merck, The NCI - Honoraria from Novartis, Bristol-Myers Squibb,
3Youre In Charge InvestigatorResponsibilities
4Youre In Charge InvestigatorResponsibilities
It sounds really boring, but it can keep you
in your job
and
out of jail.
5Question 1
6What is Good Clinical Practice (GCP)?
- An international ethical and scientific standard
for the design, conduct, performance, monitoring,
auditing, recording, analyses, and reporting of
clinical trials that involve participation of
human subjects
7Good Clinical Practice
- Compliance with GCP
- Provides public assurance that the rights,
safety, and well-being of subjects are protected
consistent with the Declaration of Helsinki - Provides public assurance that the results data
from the clinical trial are credible
8Question 2
9International Conference on Harmonization (ICH)
of GCP (1996)
- Unified standard incorporating the GCPs of the
US, EU, Japan, Canada, Australia, Scandinavia,
and the WHO - Facilitates the mutual acceptance of clinical
trial data when studies are performed under these
guidelines - It is not IHC (immunohistochemistry)!
10Code of Federal Regulations
- Responsibilities of Sponsors and Investigators
312.50 - General responsibilities of investigators 312.60
- Control of the investigational agent 312.61
- Investigator recordkeeping and record retention
312.62 - Investigator reports 312.64
- Assurance of IRB review 312.66
- Inspection of investigators records and reports
312.68 - Handing of controlled substances 312.69
- Disqualification of a clinical investigator 312.70
11Who is a Principal Investigator (PI)?
- The person responsible for the conduct of the
clinical trial at a trial site. - If a trial is conducted by a team of individuals
at a trial site, the investigator is the
responsible leader of the team and is usually
called the principal investigator. - If a trial does not have a sponsor, the PI is the
Sponsor-Investigator. - Any individual member of the clinical trial team
designated and supervised by the investigator at
a trial site to perform critical trial-related
procedures and/or to make important trial-related
decision (e.g. associates, residents, fellow)
are, under the regulations, considered
sub-investigators, not PIs or CO-investigators.
12General Responsibilities of Investigators
- An investigator is responsible for
- Ensuring that an investigation is conducted
according to - Signed investigator statement (FDA 1572)
- Study protocol
- IRB requirements
- All applicable federal, state, institutional
regulations - Control of all drugs/agents/devices under
investigation - For protecting the rights, safety, and welfare of
subjects under the investigators care
13Qualifications for Investigators
- Qualified by education, training, experience to
assume proper conduct of the trial - Aware of comply with GCP
- Familiar with the use of investigational
product(s) - Interested in the scientific aspects of the trial
14Qualifications for Investigators
- Have adequate time to
- Discuss, read approve protocol
- Identify recruit subjects
- Properly assess follow subjects
- Have adequate personnel resources to conduct
the trial - Able to meet the recruitment targets
- Conduct the trial in compliance with the protocol
without deviation
15Qualifications for Investigators
- Maintain a list of research team members to whom
trial-related duties have been delegated - Keep research team members well informed about
the trial at all times - Permit monitoring, auditing inspection by
sponsors regulatory authorities
16Control of Investigational Drug/Agent/Device
- An investigator shall distribute the
drug/agent/device only to subjects under the
investigators personal supervision or under the
supervision of a sub-investigator responsible to
the investigator - The investigator shall not supply the
investigational drug/agent/device to any person
not authorized by the investigator to receive
it.
17Consent of Subjects
- An investigator must, in accordance with part 50
of the Code of Federal Regulations, obtain the
informed consent of each human subject to whom
the drug/agent/device is distributed. - Note informed consent is more than handing
the subject a form. It is a process. -
18Informed Consent
- A process by which a subject voluntarily
confirms his or her willingness to participate in
a particular trial, after having been informed of
all aspects of the trial that are relevant to the
subjects decision to participate. - ICH Guideline for GCP 1.28
18
CONFIDENTIAL
19Informed Consent Process
- Intended to
- Give a subject all the information he or she
reasonably would want about a study - Ensure that the subject understands this
information - Give the subject time to consider whether or not
they want to participate - Allow the subjects to ask questions of the
investigator, staff, etc. Investigator must
answer all questions - Provide protections for vulnerable subjects
19
20Informed Consent
- Must comply with GCPs, local and IRB
requirements, 21 CRF, ICH Guidelines, and
Declaration of Helsinki - Must be approved by IRB prior to use
- Must be understandable to the subject
(Non-technical and in the subjects own language) - May not cause subject to waive legal rights
20
21Question 3
22Informed Consent
- Must be understandable to the subject
(Non-technical and in the subjects own language)
NEJM348, 721, 2003
22
23Informed Consent
- Must be signed and personally dated by the
subject AND the individual who conducted the
discussion - Subject must receive a copy of the informed
consent document - Subjects legally authorized representative can
sign for subject if subject is not able to read,
not able to understand, or in emergency
situations - If subject and legal representative are unable to
read, an impartial witness must be present and
sign the ICF
23
24Investigator Recordkeeping and Record Retention
- Case Report Form (CRF) a printed or electronic
document designed to record protocol-required
information on each subject - Source Document may include hospital records,
clinical and office charts, lab reports, subject
diaries, etc - Investigator should ensure the accuracy,
completeness, timeliness of data in CRFs - Data in the CRFs must be consistent with and
verifiable with the source documents - Correct data in the CRF by striking out and
initialling - Do not use white out
- Do not scribble out words
25Investigator Recordkeeping and Record Retention
- Case Histories
- Prepare and maintain adequate and accurate case
histories that record all observations and other
data pertinent to the study on each individual
distributed to or employed as a control on the
protocol. - CRF, supporting data, signed consent forms,
medical records, progress notes, hospital charts,
nurses notes - Case histories should document that informed
consent was obtained prior to the subjects
participationthis is in addition to the consent
form.
26Investigator Record Keeping and Retention
- Disposition of drug/agent/device
- Maintain adequate records of the disposition of
all drugs/agents/devices - Dates, quantity, subject use, shipping, storage,
return/destruction - Record Retention
- Retain records for a period of 2 years following
the date a drug/agent/device is approved for the
indication in which it is being investigated or
if no application is filed/approved, 2 years
after the investigation is discontinued and FDA
is notified.
27Maintenance of a Study Binder for Every Protocol
- List of all study personnel
- Their initials signatures
- Their qualifications responsibilities
- Dates of their participation
- Up-to-date, signed, dated CVs for staff who
- Undertake consent assessments of subjects
- Make entries in case report forms (CRFs)
- Up-to-date licenses of laboratories providing
test results and their normal ranges
28Investigator Reports
- Progress Reports
- - Sending reports to the sponsor as required by
the protocol. - - Sponsor-investigators are required under
312.33 to submit annual reports to FDA on the
progress of the clinical investigation. - Safety Reports
- - Promptly report to the sponsor any adverse
effect that may reasonable be regarded as caused
by, or probably cause by, the drug/agent/device. - Sponsor-investigators are required to report
adverse effects that are both serious and
unexpected and/or deaths directly to FDA in
accordance with 312.32
29Investigator Reports
- Final Report
- Provide the sponsor/FDA (for sponsor-investigators
) with an adequate report shortly after
completion of the investigation. - Financial Disclosure Reports
- Provide sponsor with sufficient accurate and
current financial information to allow for
accurate certification/disclosure as required
under part 54.
30Investigator Reports
- New information
- New information available during the course of
the trial must be passed along to the IRB - If the new information is relevant to the
subjects participation, consent form must be
updated approved by the IRB - For subjects already on study, provide the new
information at their next visit or sooner if
there is a risk to the patient or if consent is
likely to be revoked - Current subjects should be re-consented with
the new IRB-approved consent form - Delay accrual until IRB approval of new
information
31Question 4
32Investigator Reports
- Adverse Event/Safety reporting
- Adverse Event (AE) any untoward medical
occurrence in a trial subject, which does not
necessarily have a causal relationship with the
study treatment
33Question 5
34Investigator Reports
- Adverse Event/Safety reporting
- Serious Adverse Event (SAE) any untoward
medical occurrence that meets one or more of the
following - Results in death
- Is life-threatening
- Requires inpatient hospitalization or
prolongation of an existing hospitalization - Is a congenital anomaly or birth defect
- Is a medically significant event, for any reason,
these might include pregnancy, cancer, overdose,
etc.
35Investigator Reports
- Adverse Event/Safety reporting-Questions to ask
- Is the event unexpected?
- Reported in the Investigators Brochure
- Known events that have become more frequent or
severe - NCI Expedited reporting guidelines
http//ctep.cancer.gov/forms/NCI_AEReporting_Gdln_
final.pdf
36Question 6
37Investigator Reports
- Adverse Event/Safety reporting-Questions to ask
- Is the event treatment-related?
- Reasonable causal relationship to be determined
based upon prior experience with treatment - If an association cannot be ruled out, then it
should be considered to have a reasonable
relationship - Not-related, unlikely, possible, probable,
definite - NCI Expedited reporting guidelines
http//ctep.cancer.gov/forms/NCI_AEReporting_Gdln_
final.pdf
38Question 7
39Institutional Review Board (IRB)
- A reasonable number of members who collectively
have the qualifications experience to review
evaluate the science, medical aspects, and ethics
of the proposed trial - At least 5 members
- At least 1 non-scientific member
- At least 1 member who is independent of the
institution - Only members who are independent of the
investigator sponsor can vote or provide an
opinion
40Assurance of Institutional Review Board (IRB)
Review
- Before initiating a trial, written IRB approval
of the following documents is needed - Trial protocol, investigator brochure
- Any amendments
- Written informed consent form
- Any other written information to be provided to
study subjects - Any subject recruitment procedures (i.e.
advertisements)
41Assurance of IRB Review
- The PI should assure that an IRB that complies
with all the requirements set forth in part 56
will be responsible for the initial and
continuing review and approval of the study. - Assure that he or she will promptly report to the
IRB all changes in the research activity and all
unanticipated problems involving risk to human
subjects or others. - He or she will not make any changes in the
research without IRB approval except where
necessary to eliminate apparent immediate hazards
to human subjects. - Yes, the PI is responsible for making sure
the IRB meets all federal regulations and follows
all applicable regulations during the course of
his/her investigation.
42Inspection of Investigators Records and Reports
- Upon request from any properly authorized officer
or employee of FDA, permit the officer or
employee to have access to, copy and verify any
records or reports made by the investigator. - Not required to divulge subject names unless the
records of the particular individual require a
more detailed study of the cases or there is
reason to believe that the records do not
represent the actual case studies/results.
43Quality Assurance
- Sponsor
- Responsible for implementing and maintaining
quality assurance for the trial, in compliance
with the protocol, GCP, and regulatory
requirements - Can be governmental agencies, foundations,
pharmaceutical industries for funded studies - Can be the institution conducting the study
- Investigator-sponsored studies
44Quality Assurance
- Monitoring
- The act of overseeing the progress of a clinical
trial, and ensuring that it is conducted,
recorded, and reported in accordance with the
protocol, GCP, and applicable regulatory
requirements - Auditing
- A systematic and independent examination of
trial-related activities and documents to
determine whether they adhere to protocol, GCP,
and the applicable regulatory requirements
45Quality Assurance
- Major deviations (NCI US definitions)
- A protocol variance that makes the resulting data
questionable - Consent form signed after patient started therapy
- Treatment which is not part of the protocol
- Failure to report SAE
- Minor Deviations
- Deviations that do not affect the outcome or
interpretation of the study and do not fulfill
the criteria for major deviations
46Research Misconduct
- Research misconduct does not include honest
errors or honest differences of opinion - From S. Woollen, Associate Director for
Bioresearch Monitoring, FDA, 2003 - If FDA has information indicating that an
investigator or sponsor-investigator has
repeatedly or deliberately failed to comply with
the requirements identified in these parts of the
Code of Federal Regulations or has submitted
false information to FDA or a sponsor s/he may be
disqualified and be subject to criminal and civil
liability
47Data Analysis Reporting
- As a principal investigator, you should
- Have access to the full and raw data
- Have control over how the data are analyzed
- Have the right to publish the results
- Sponsors reserve the right to review a manuscript
for a defined period, but must impose no
impediment on publication of the trials full
results
48Conflict of Interest
- Disclosure of financial or other interests that
might be construed as resulting in an actual,
potential, or apparent conflict, is important to
maintain the confidence of physicians, patients,
and the general public, in the integrity of
clinical cancer research
49Conflict of Interest
- Many institutions have their own conflict
policies - Universities
- Cooperative groups
- ASCO policy (2002) requires disclosure of
- Employment or leadership position
- Advisory role
- Stock ownership
- Honoraria
- Research funding
- Expert testimony
- http//www.asco.org
50Conflict of Interest
- Recent update of ASCO guidelines
- Clarified definition of PI
- Refinement of restrictions on non-PIs
- Time period for restrictions
- Expansion of PI exceptions
- J Clin Oncol 24517, 2006
51Youre In Charge
- Running a clinical trial can be complex
- You will need full support from your research
team - You will need to be careful and stringent on
every trial-related issue - You will need to protect the rights and integrity
of your trial subjects - And you need to recognize the realities
illustrated on the next 2 slides
52So You Think Youre In Charge!
We Are Just Insects on the Windshield of Life!
53So You Think Youre In Charge!
Unfortunately We Live in the Real World!
Material Transfer Agreements
Fiscal Responsibility
Tech Transfer
Confidentiality Agreements
54Is Anyone Still Awake?
55Good Clinical Practice
-
- Good Clinical Practice (GCP) is an
international ethical and scientific quality
standard for designing, conducting, recording,
and reporting trials that involve the
participation of human subjects.
55
CONFIDENTIAL
56Investigator Obligations
- The investigator is responsible for ensuring that
a clinical trial is conducted according to - The PI is ultimately responsible for the study.
- Applicable international regulations such as
ICH-GCP, the Declaration of Helsinki, and the
Code of Federal Regulations - The Protocol
- Applicable local regulations
- Requirements of Institutional Review Board (IRB)
- Read and understand the Investigators Brochure
(potential risks and side effects) - Obtain IRB approval and continuing review of the
study - Personally conduct or supervise the study
56
57Investigator Obligations
- Allow inspection by regulatory authorities
- Obtain and documents Informed Consent for every
Subject PRIOR to study participation - Maintain adequate and accurate records (CRFs
Source documents, and IP disposition records) - Document and explain any protocol deviation
- Report Adverse Events as required by the IRB
- Ensure that all study personnel understands their
obligations to meet all of the above (Maintain a
list of delegated responsibilities)
57
CONFIDENTIAL
58Sponsor Obligations
- Select qualified investigators by their
education, training, and experience - Provide information to conduct the study
- Provide an Investigator Brochure
- Communicate changes to the study
- Monitor the study
- Audit the study
- Notify appropriate authorities and
investigational sites of new adverse effects or
risks with respect to the drug - Keep records of drug disposition
- Collect financial disclosure information
58
CONFIDENTIAL
59Source Document Requirements
59
60FDA Facts about Source Documentation
- FDA Requirements Related to Source Documents in
clinical trials - IND Regulations 21 CFR 312
- 312.62 Investigator recordkeeping and record
retention - Disposition of Drug- dates, quantities and use by
subjects - Case Histories- must be adequate and accurate
- Retain records- 2 years following date of NDA
approval or 2 years after the investigations is
terminated
60
60
61FDA Facts about Source Documentation
- FDA Requirements Related to Source Documents in
clinical trials - 312.62 (b) An investigator is required to prepare
and maintain adequate and accurate case histories
that record all observations and other data
pertinent to the investigations on each
individual administered the investigational drug
or employed as a control
61
CONFIDENTIAL
61
62FDA Facts about Source Documentation
- FDA Requirements Related to Source Documents in
clinical trials - 312.62 (b) cont..- Case Histories include
- Case report form and supporting data including,
for example, - Signed and dated consent forms and
- Medical records, for example
- progress notes of the physician
- individuals hospital chart(s)
- nurses notes
62
62
63- GCP Overview / Regulatory Requirements
63
64So You Think Youre In Charge!
We Are Just Insects on the Windshield of Life!
65So You Think Youre In Charge!
We Are Just Insects on the Windshield of Life!
66So You Think Youre In Charge!
We Are Just Insects on the Windshield of Life!