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Human Subjects Research Protections: Enhancing Protections for Research Subjects and Reducing Burden, Delay, and Ambiguity for
Investigators
Advanced Notice of Proposed Rule Making
ITHS Town Hall 8/26/2011
Agenda
• Brief overview of the ANRPM – Process for modification to the Common Rule– Proposal
• Details of proposals affecting the consent for and use of biospecimens– Intent and implications of proposed changes
• Discussion
Process
Why• 45CFR46 Subpart A – the “Common Rule” was
adopted 20 years ago• Recognition that research has changed
significantly since that time– Increase in volume– More multicenter trials– New informational risks due to use of genetic
information• Concern that current process requires a lot of
time and resources without the attendant protection of subjects for which the rules were intended
Human Subjects Research Protections: Enhancing Protections for Research Subjects and Reducing Burden, Delay, and Ambiguity for Investigators
• Proposing agencies: Office of the Secretary, HHS and the FDA– http://www.hhs.gov/ohrp/humansubjects/
anprm2011page.html
• Each proposed change is presented followed by a set of questions– There are 74 questions to direct the feedback
being requested.
Structure of the ANPRM
• Section I– Background –why and why now
• Sections II –VIII– Details of the proposed changes
• Section IX– Request for information and comment– How to submit comments
Summary of Proposed changes1. Refinement of the existing risk-based regulatory framework (Section
II);2. Utilization of a single IRB review of record for domestic sites of multi-
site studies (Section III);3. Improvement of consent forms and the consent process (Section IV);4. Establishment of mandatory data security and information protection
standards for all studies that involve identifiable or potentially identifiable data (Section V);
5. Establishment of an improved, more systematic approach for the collection and analysis of data on unanticipated problems and adverse events (Section VI);
6. Extension of Federal regulatory protections to all research, regardless of funding source, conducted at institutions in the U.S. that receive some Federal funding from a Common Rule agency for research with human subjects (Section VII); and
7. Improvement in the harmonization of regulations and related agency guidance (Section VIII).
Section II – ensuring risk-based protections
• Set mandatory standards for data security and information protection based on HIPAA – IRBs would not then be responsible for assessing
adequacy of protection of informational risks• Default to expedited continuing review even if
original application required full board review when remaining activities are minimal risk
• Updating list of what qualifies for expedited initial review and eliminating continuing review for these studies.
Section II• Converting “exempt” category to “excused”
category– Would be subject to the new data security and
information protection standards– Expand category – Clarify the definition of “existing” to mean
collected for purposes other than the research and not that the data and specimens have to exist when the study starts
– Written consent would be required for use of existing biospecimens
Section II
• New excused category– Written consent would be required for use of pre-
existing data if collected for research purposes • if collected for non-research purposes, consent only if
identifiable
– Require registration of excused research, not review of application
– Add a tracking and audit requirement of excused research
Section III – streamlining IRB review of multi-site research
• Mandating that all multi-site domestic trials rely on a single-site IRB– Would not apply to international research– Would not apply to FDA regulated device trials
Section IV – improving informed consent
• Changes to the consent forms– Specifying required content– Restricting inappropriate content– Limiting length– Reducing institutional “boilerplate” language– Providing standardized consent form templates
Section IV
• Changes to informed consent process– Clarification of the waiver criteria– Allowing more oral consent– Requiring consent for use of pre-existing
biospecimens regardless of identifiability
Section V – strengthening data protections
• Aligning Common Rule and HIPAA standards for de-identified data
• Classifying all biospecimens as identifiable and requiring consent for use
• Enhancing data security standards• Data can still be considered de-identified if
investigators see the identifiers but don’t record them
• Require periodic random audits for enforcement
Section VI – data collection to enhance oversight
• Standardize data elements for reporting• Implementing a web-based Federal-wide
portal for safety reporting• Harmonize safety reporting guidance across
all federal agencies
Section VII – extension of Federal Regulations
• Extend common rule protections to all research conducted at institutions that receive any federal funding for research
and VIII – clarifying and harmonizing agency guidance
• Reconciling the advantage of consistency across Federal departments and agencies providing guidance with need for flexibility and timeliness of issuance of guidance.
Summary of proposed changesImproving effectiveness Enhancing protections
Distinction between types of risk – note informational risk
Federal oversight expanded
Eliminating some required continuing review
Central database for adverse events
Improved applicatio n of expedited review for research posing minimal risk
Informed consent improvements
Single IRB review of multisite studies Written consent for use of biospecimens
Harmonization of guidance Confidentiality protections
Emanuel and Menikoff: 10.1056/NEJMsb1106942 published July 25, 2011 at NEJM.org - taken from PRIM&R webinar – Pearl O’Rourke
Ways to comment• www.regulations.gov - HHS-OPHS-2011-0005• Mail/Courier to: Jerry Menikoff, M.D., J.D.,
OHRP, 1101 Wootton Parkway, Suite 200, Rockville, MD 20852
• UW HSD discussion board - https://catalyst.uw.edu/gopost/board/sherrye/22982/
• E-mail Karen Moe by 9/10 at [email protected]• Send comments to the ITHS discussion board
https://catalyst.uw.edu/gopost/board/lalithas/23060/
Future ITHS Town Hall Discussions
• September 2 – Seattle Children’s Hospital – Wright Auditorium 9-10:30am– changes to minimal risk and exempt research (excused);
proposed changes to informed consent– Moderator - Doug Diekema, MD, MPH, Prof. Pediatric
Bioethics, Chair, Children's IRB
• September 9 – FHCRC, Thomas Building D1-084– data security requirements and information protection
standards; central IRB review for multi-site studies– Moderator - TBD