Title: INVESTIGATOR RESPONSIBILITIES
1INVESTIGATOR RESPONSIBILITIES
2Objectives
- Review and Discuss
- Responsibilities of the clinical research
Investigator as per relevant regulations and
guidelines. - Responsibilities and commitments associated with
signing the FDA Form 1572. (For non-IND studies,
the DAIDS Investigator of Record Form applies
instead of FDA Form 1572.) - Financial disclosure requirements.
- Impact of protocol noncompliance.
- Oversight responsibilities related to the
informed consent process, drug accountability,
safety monitoring, maintaining essential study
documents and delegation of responsibilities.
3Investigator Responsibilities
4What Does This Mean?
- The FDAs focus is on the Principal Investigator
listed on FDA Form 1572. - For DAIDS-funded trials, this is the Investigator
of Record or (IoR). - Others in the DAIDS structure/chain of command
(such as the CTU PI or CRS Leader) will not be
important at the time of the audit. It is the
IoR who is answerable for the execution of the
protocol.
5Investigator Responsibilities
- Ensure that the clinical investigation is
conducted according to the approved protocol and
in compliance with all relevant sections of the
U.S. Code of Federal Regulations (CFR), ICH-GCP
standards, and in-country regulations and
guidelines. - Protect the rights, safety and welfare of
subjects. - Control drugs, biological products and devices
under investigation.
6Investigator Responsibilities Regulations and
Guidances
- Investigator responsibilities are specifically
described in - ICH E6 (Sections 4.0 and 8.0).
- U.S. Code of Federal Regulations (CFR).
- U.S. FDA Guidance Investigator Responsibilities
(October 2009). - U.S. FDA Guidance QA Form FDA 1572 (May 2010).
- FDA Form 1572 / DAIDS IoR Form.
7ICH E6 Good Clinical PracticeConsolidated
Guideline
Objective to provide a unified standard for the
EU, Japan, U.S. to facilitate mutual acceptance
of clinical data by the regulatory authorities
Published as official guidance in U.S. Federal
Register in 1997
8ICH E6 GCP Section 4.0 Investigator
Responsibilities
Investigators Qualifications and Agreements
Informed Consent of Trial Subjects
4.1
4.8
Adequate Resources
Records and Reports
4.2
4.9
Medical Care of Trial Subjects
Progress Reports
4.3
4.10
Communications with IRB/IEC
Safety Reporting
4.4
4.11
Compliance with Protocol
Premature Termination or Suspension of a Trial
4.5
4.12
Investigational Product(s)
Final Report(s) by Investigator
4.6
4.13
Randomization Procedures and Unblinding
4.7
9Country-Specific Requirements
- This presentation reviews the U.S. federal
requirements for the clinical Investigator. - All local and country-level requirements must
also be met. - Contact your local IRB/IEC or CTU PI for
additional information on these.
10FDA Clarification of Investigator
Responsibilities
- Supervision of the conduct of the clinical
investigation. - Delegation of tasks to study staff.
- Training of study staff.
- Supervision of staff to whom tasks are delegated.
- Reporting protocol deviations.
- Supervision of third parties (if applicable).
- Protection of the rights, safety and welfare of
participants in clinical trials. - Provision of reasonable medical care.
- Provide reasonable access to medical care.
11Review of FDA Form 1572
12Form FDA 1572
- Include screen shot here.
13By Signing Form 1572
- The Investigator is agreeing that he or she will
personally conduct or supervise the described
investigations. - To do this, the Investigator must be intimately
involved with the study. Depending on the size of
the staff, the qualifications of the staff
members, and the complexity of the protocol(s),
this involvement may vary according to the site
and protocol. - The Investigator must have a full understanding
of the protocol, as well as stay informed of all
participant and site issues. - The Investigator should ensure procedures are
established to escalate issues quickly when
needed.
14FDA Form 1572Eight Investigator Commitments
- Maintain protocol adherence
- Personally conduct or supervise
- Ensure informed consent of subjects
- Report adverse experiences
- Provide training to sub-investigators
- Ensure adequate and accurate recordkeeping
- Ensure proper IRB/IEC review and reporting
- Comply with all regulatory requirements
15Who Should be Listed as a Sub-Investigator on the
1572?
- The decision to list an individual as a
sub-investigator depends on his/her level of
responsibility-- whether he/she is performing
significant clinical, investigation-related
duties. - In general, if an individual is directly involved
in the performance of procedures required by the
protocol, and the collection of data, that person
should be listed on the 1572. - It is not necessary to include someone with only
an occasional or ancillary role.
16When to Update the 1572(U.S. Federal Regulation)
- According to U.S. federal regulation, the FDA
Form 1572 must only be updated when a new
protocol has been added to the IND or a new
Investigator is added to the study. However,
17When to Update the 1572(DAIDS Protocol
Registration Manual)
- Within 30 days of any change in information, such
as - The Investigator of Record changes.
- A sub-investigator is added to the study or
removed. - At the time of continuing IRB/IEC review
- (if required by the local IRB/IEC).
- A laboratory is added, removed or changed.
- Site location added, removed or changed.
18Investigator of Record Form
- Insert page 1 of Investigator of Record Form
19Requirement for Investigators and
Sub-Investigators to File Financial Disclosure
Forms
20Reporting Financial Interests
- Goal preserve objectivity of clinical research
and the protection of human subjects - Regulation 21 CFR 54
- Requirement each clinical investigator must
disclose any financial interests that may be
affected by the outcome of the research or attest
to the absence of relevant significant financial
interests
21Specific Requirement
- Per 21 CFR 54, each clinical research
Investigator and sub-investigator (anyone listed
on the FDA Form 1572 for the study) is required
to disclose the aggregated financial interests of
themselves, their spouse and dependent children,
as they relate to the study sponsor and/or study
product(s). - Per 21 CFR 312.53, financial disclosures must be
completed prior to study involvement.
22Demonstrating Compliance
- Individual FD forms must be completed, signed and
dated before the relevant1572 form, to which the
investigator/sub-investigator is being added, is
finalized, signed and dated. - The 1572 must be finalized, signed, and dated
before the Investigator or sub-investigator adds
their signature and start date to the DoA. - Note The Investigators or
sub-investigators DoA start date must be no - sooner than the signature dates
on their FD and corresponding 1572.
23When to Report 4 Time Points
- Before an Investigator or sub-Investigator begins
study activities (i.e., before final sign off by
the IoR on the 1572 or DAIDS IoR Form). - Within thirty (30) days of discovering that
relevant changes to their significant financial
interests have occurred (during their study
involvement and for one year following the end of
their study involvement). - (continued on next slide)
24When to Report 4 Time Points
-
(continued from last
slide) - When an Investigator or Sub-Investigator is
removed from the FDA Form 1572 prior to study
completion. - At the completion of all study-specific
activities, that is, the date of the last
follow-up for the study at that site.
25How to Report Financial Disclosure
- A study-specific, Financial Disclosure Form can
be found on the MTN website (www.mtnstopshiv.org)
- Study Implementation Materials. - Definition of reportable financial interests (as
per 21 CFR 54) and instructions for completion of
the form will appear with the form.
26Steps to Report Financial Disclosure
- Print the study-specific, Financial Disclosure
Form from www.mtnstopshiv.org. - Complete the form remember to sign and (hand)
date it. - Upload a scanned copy of the completed, signed
and dated form to the the DAIDS Protocol
Registration System. - File the original, completed, signed and dated
form in the study binder with the associated 1572
form.
27How are Conflicts Managed?
- All financial disclosure statements will be
reviewed by the MTN Leadership Operations
Center (LOC). - If potential conflicts of interest are
identified, the LOC, in conjunction with the
Investigator, will determine if steps need to be
taken to minimize the potential for bias.
28ICH E6 Section 4.0 Investigator
Responsibilities
Investigators Qualifications and Agreements
Informed Consent of Trial Subjects
4.1
4.8
Adequate Resources
Records and Reports
4.2
4.9
Medical Care of Trial Subjects
Progress Reports
4.3
4.10
Communications with IRB/IEC
Safety Reporting
4.4
4.11
Compliance with Protocol
Premature Termination or Suspension of a Trial
4.5
4.12
Investigational Product(s)
Final Report(s) by Investigator
4.6
4.13
Randomization Procedures and Unblinding
4.7
29Compliance with the Protocol
- ICH E6 Section 4.5
- FDA Form 1572
- 21 CFR 312.60
- 21 CFR 812.100
30Protocol Compliance
- The Investigator is expected to make every effort
to ensure that the trial is conducted in
compliance with the protocol approved by the
IRB/IEC. - The IoRs dated signature on the protocol
signature page confirms this agreement.
31Protocol Compliance
- The Investigator agrees that he or she will not
make any changes in the research without IRB/IEC
approval, except where necessary to eliminate
apparent immediate hazards to human subjects
(see FDA Form 1572).
32Protocol Compliance
- Any departure from the protocol must be
documented as a protocol deviation. - In the event you find a deviation has occurred at
your site, follow the instructions provided to
you in the DAIDS Source Documentation policy, the
Protocol SSP and by the FHI 360 CRM for
documenting deviations and making corrections.
33Deviations from the Protocol
- Recognizing that protocol deviations do sometimes
occur, it is important to promptly document and
report them. - Why is it critical that this happens?
34Potential Impact of Noncompliance
- Impact on risk to the participant
- Impact on data quality
- Impact on scientific integrity and credibility
- Rejection of data by regulatory bodies
- Selection of the site for FDA Inspection
- Disqualification of the Investigator
- Suspension of site activities
35Risks for Noncompliance
- Insufficient investigator involvement/oversight
in study conduct. - Poor supervision and training of study staff.
- Inappropriate delegation of study tasks to
unqualified persons. - Overworked investigator and study staff (e.g.,
too many subjects, complex study with large data
collection, too many concurrent studies). - Failure to adequately protect study subjects.
36ICH E6 Section 4.0Investigator
Responsibilities
Investigators Qualifications and Agreements
Informed Consent of Trial Subjects
4.1
4.8
Adequate Resources
Records and Reports
4.2
4.9
Medical Care of Trial Subjects
Progress Reports
4.3
4.10
Communications with IRB/IEC
Safety Reporting
4.4
4.11
Compliance with Protocol
Premature Termination or Suspension of a Trial
4.5
4.12
Investigational Product(s)
Final Report(s) by Investigator
4.6
4.13
Randomization Procedures and Unblinding
4.7
37Role of the Investigator in Ensuring Informed
Consent and Some Consenting Challenges
- Declaration of Helsinki
- ICH E6 Section 4.8
- FDA Form 1572
- 21 CFR 50
38 The Consenting Process
Discuss study, risk/benefits, etc.
Provide informed consent form
Update participants
Assess understanding and willingness
Allow time for understanding
Ensure comprehension
Encourage questions
39Key Points of the Informed Consent Process
Translation
Role of the witness
Timing
Signing/Dating
Version
Re-signing the consent
40Consenting a Vulnerable Population Illiterate
Participants
- What are the consenting challenges?
- What strategies could you use to mitigate
challenges?
41Illiterate Participants
- Consider asking potential participants to read
the informed consent form (ICF) out loud. - Test writing skills.
- Read the informed consent form to the
participant. - Ask participant to teach back.
42ICH E6 Section 4.0Investigator
Responsibilities
Investigators Qualifications and Agreements
Informed Consent of Trial Subjects
4.1
4.8
Adequate Resources
Records and Reports
4.2
4.9
Medical Care of Trial Subjects
Progress Reports
4.3
4.10
Communications with IRB/IEC
Safety Reporting
4.4
4.11
Compliance with Protocol
Premature Termination or Suspension of a Trial
4.5
4.12
Investigational Product(s)
Final Report(s) by Investigator
4.6
4.13
Randomization Procedures and Unblinding
4.7
43Investigational Study Product(s)
- ICH E6 Section 4.6
- 21 CFR 312.57(a)
- 21 CFR 312.62(a)
44Investigational Study Product
- Responsibility for investigational product
accountability lies with the Investigator/institut
ion. - Some or all of these duties can be delegated to
the pharmacist or other individual who is under
the supervision of the Investigator. - The product should be stored as specified by the
sponsor and in accordance with regulatory
requirements.
45Investigational Study Product
- Investigator or designee should ensure products
are only used in accordance with the approved
protocol. - The Investigator or designee should explain the
correct use of the product and should check
throughout the trial that each participant is
following instructions properly.
46Product Accountability Records
- These records should include the following
information - Product delivery to the trial site.
- Inventory at the site.
- Proper storage.
- Use by each subject.
- Return to the sponsor or alternative disposition
of unused product. - Dates, quantities, batch/serial numbers,
expiration dates (if applicable), unique code
assigned to the product and trial participant.
47ICH E6 Section 4.0Investigator
Responsibilities
Investigators Qualifications and Agreements
Informed Consent of Trial Subjects
4.1
4.8
Adequate Resources
Records and Reports
4.2
4.9
Medical Care of Trial Subjects
Progress Reports
4.3
4.10
Communications with IRB/IEC
Safety Reporting
4.4
4.11
Compliance with Protocol
Premature Termination or Suspension of a Trial
4.5
4.12
Investigational Product(s)
Final Report(s) by Investigator
4.6
4.13
Randomization Procedures and Unblinding
4.7
48Medical Care of Trial Subjects and Safety
Reporting
- ICH E6 Sections 4.3 and 4.11
- DAIDS Expedited Adverse Events Reporting Policy,
DWD-POL-CL-013.03
49Medical Care of Trial Subjects
- A qualified physician must be responsible for all
trial-related medical decisions and ensure
medical care is provided for any AEs while in the
trial. - It is recommended that the Investigator inform
the participants primary physician about trial
participation, if the participant agrees. - The Investigator should attempt to find the
reason for premature withdrawal of participation
in the trial when appropriate.
50Safety Reporting
- AEs should be reported according to the
requirements of the protocol. - All SAEs should be reported to DAIDS per the EAE
Reporting Manual. PTIDs (not names or other
unique identifiers) should be used in these
reports. - Investigator must follow the sites IRB/IEC
requirements regarding reporting AEs, EAEs, SAEs
and unanticipated problems to the IRB/IEC.
51ICH E6 Section 4.0Investigator Responsibilities
Investigators Qualifications and Agreements
Informed Consent of Trial Subjects
4.1
4.8
Adequate Resources
Records and Reports
4.2
4.9
Medical Care of Trial Subjects
Progress Reports
4.3
4.10
Communications with IRB/IEC
Safety Reporting
4.4
4.11
Compliance with Protocol
Premature Termination or Suspension of a Trial
4.5
4.12
Investigational Product(s)
Final Report(s) by Investigator
4.6
4.13
Randomization Procedures and Unblinding
4.7
52Essential Documents
- ICH E6 Section 4.9 and 8.0
53Essential Study Documents
- ICH-GCP Section 8.0 provides a clear presentation
of those documents required to be kept on-file at
the Clinical Research Site (CRS) by the
Investigator of Record. - These documents, individually and collectively,
permit evaluation of the conduct of the trial and
the quality of the data produced.
54Essential Study Documents
- Filing essential documents at the CRS in a timely
manner can greatly assist in the successful
management of a trial by the Investigator. - These documents may be audited by the sponsor's
independent audit function and inspected by
regulatory authorities.
55ICH E6 Section 4.0Investigator
Responsibilities
Investigators Qualifications and Agreements
Informed Consent of Trial Subjects
4.1
4.8
Adequate Resources
Records and Reports
4.2
4.9
Medical Care of Trial Subjects
Progress Reports
4.3
4.10
Communications with IRB/IEC
Safety Reporting
4.4
4.11
Compliance with Protocol
Premature Termination or Suspension of a Trial
4.5
4.12
Investigational Product(s)
Final Report(s) by Investigator
4.6
4.13
Randomization Procedures and Unblinding
4.7
56Site Oversight
57How is Oversight Assessed?
- Were those to whom tasks were delegated qualified
to do the tasks? - Did staff received adequate training to perform
the delegated tasks? - Is there evidence demonstrating the ongoing
involvement of the IoR? - Was there adequate supervision of any third
parties?
58Demonstrating Adequate Oversight
- Availability of sub-investigator CVs and clinical
licenses. - Maintenance of staff training records.
- Timely signature/initials/date of IoR on study
documents. - Delegation of Authority Log (DoA).
- Complete and accurate study product
accountability records.
59Study Delegation of Authority Log (continued
on next slide)
- Insert page 1 of study Delegation of Authority
Log (DoA)
60(No Transcript)
61DoA Best Practices
- Names should be printed legibly or typed,
signatures and initials must be handwritten. - When staff roles and/or responsibilities change,
add an end date and IoR initials/date to the
current line listing, and add the staff member to
a new line and list all responsibilities with the
new start date and IoR initial/date - In the case where the DoA includes a list of
staff from multiple clinical research sites
(CRSs) as members of a single clinical trials
unit (CTU), staff who are primary to the site
should be distinguished from staff who are listed
in back-up/coverage? roles.
62Summary of Required Pre-activation Regulatory
Submissions
63References
- ICH E6
- U.S. FDA Form 1572
- DAIDS IoR Form
- U.S. Code of Federal Regulations (CFR)
- U.S. FDA Guidance Investigators
Responsibilities, (October 2009)
64References
- U.S. FDA Guidance QA Form FDA 1572 (May 2010)
- DAIDS Policy Requirements for Source
Documentation, DWD-POL-CL-04.00 and
DWD-POL-CL-04.00A1 - DAIDS Expedited Adverse Events Reporting Policy,
DWD-POL-CL-013.03